In Re: Appeal of Doctor's Hospital

414 A.2d 134, 51 Pa. Commw. 31, 1980 Pa. Commw. LEXIS 1346
CourtCommonwealth Court of Pennsylvania
DecidedApril 25, 1980
DocketAppeal, 796 C.D. 1979
StatusPublished
Cited by11 cases

This text of 414 A.2d 134 (In Re: Appeal of Doctor's Hospital) is published on Counsel Stack Legal Research, covering Commonwealth Court of Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re: Appeal of Doctor's Hospital, 414 A.2d 134, 51 Pa. Commw. 31, 1980 Pa. Commw. LEXIS 1346 (Pa. Ct. App. 1980).

Opinion

Opinion by

Judge Crumlish, Jr.,

This issue is whether Doctor’s Hospital (Doctor’s) now known as The Podiatry Hospital of Pittsburgh, a *33 Pennsylvania non-profit corporation, has been founded, endowed and maintained to a sufficient degree by public and private charity to entitle it to a property tax exemption.

The property in question consists of five separate plots assessed at $208,850 for the main parcel containing the hospital building 1 and $2,100 for each of the four adjoining parking lots. 2 Real estate tax was paid on each of these properties up to and including 1975. In 1976 Doctor’s appealed the assessments requesting real estate tax exemption on all lands and buildings occupied and utilized by the hospital. The Board of Property Assessment, Appeals and Review denied the request.

A de novo appeal was taken to the Common Pleas Court of Allegheny County which determined that the exemption had been properly denied. "We affirm. 3

Doctor’s claims exemption pursuant to Article VIII, Section 2 of the Constitution of the Commonwealth of Pennsylvania 4 and Section 204 of The General County Assessment Law, Act of May 22, 1933, P.L. 853, as amended, 72 P.S. §5020-204. 5

*34 It contends that owing to its non-profit corporate structure status as a teaching institution 6 and ongoing operation as a podiatric hospital and clinic entirely free from private profit motive, it is entitled to the real estate tax exemption granted institutions of * ‘ purely public charity. ’ ’

Liability of real estate for taxation is the rule, and the taxpayer has the burden of bringing itself within the ambit of the exception. In Re: Appeal of Marple Newtown School District, 39 Pa. Commonwealth Ct. 326, 395 A.2d 1023 (1978); Robert Morris College v. Board of Property Assessment, Appeals and Review, 5 Pa. Commonwealth Ct. 648, 291 A.2d 567 (1972). The taxpayer must affirmatively show that the entire institution is one of “purely public charity,” founded by public or private charity and maintained by public or private charity. Woods Schools Tax Exemption Case, 406 Pa. 579, 178 A.2d 600 (1962). The resolution of whether an institution is a “purely public charity” *35 is a mixed question of law and fact and each case must be decided on its unique factual composition.

Doctor’s Hospital was founded and erected in 1943 as a non-profit general hospital consisting of a 40-man medical and surgical staff affording medical care to the sick, injured, disabled and indigent. In 1974, because of declining patients and lack of ability to attract physicians, Doctor’s became a podiatric hospital in hopes of attracting additional business through increased admissions by podiatrists. Only one other comprehensive podiatric facility existed in the Pittsburgh area at the time of the conversion.

Revenues before and after conversion were and are derived, except for de minimis amounts, from Blue Cross/Blue Shield, Medicare/Medicaid or third-party payers as well as self-pay patients. In 1975, for instance, the total income of Doctor’s was about $1 million with 15% coming from Medical Assistance, 25% from Medicare and 48% to 49% from Blue Cross and Blue Shield.

Doctor’s receives no substantial charitable contributions. All patients are charged regardless of ability to pay. Fees which are not recovered are written off as bad debts.

Revenues derived from the operation of the hospital are applied to its support and to increase its efficiency and facilities. Officers of the hospital and members of the Board of Trustees serve without compensation. No doctor maintains his private office at the hospital or receives a salary. Salaries paid to support personnel, such as nurses and maintenance employees, are equal to those in similar situations and are by no means excessive. The Articles of Incorporation prohibit the use of net earnings for the benefit of any officers or private individuals.

Doctor’s is recognized by the United States Department of Health, Education and Welfare as a fa *36 cility which, meets the requirements for participation as a hospital under the Health Insurance Benefits Program for the Aged'and Disabled, Title 18 of the Social Security Act. It is also classified as a charitable organization by the Internal Revenue Service and the Commonwealth of Pennsylvania, Department of Revenue, Bureau of Sales and Use Tax.

Doctor’s argument in chief in pressing its claim for the exemption is based on its clinic, wherein it contends that podiatric care is rendered to members of the community without charge. In particular, it points out that staff physicians contribute approximately $100,000 per year in clinic-related services which should be considered “charitable contributions” when determining its tax status.

As a prerequisite for real estate tax exemption, an institution claiming to be charitable must demonstrate that the portion of its property for which exemption is claimed possessed an eleemosynary characteristic not possessed by an institution devoted to private gain or profit.

“ ‘What is “given” must be more nearly gratuitous than for a price which impresses one as being proportionate to the services rendered.’ ” Ogontz School Tax Exemption Case, 361 Pa. 284, 294, 65 A.2d 150, 154 (1949), cited in Robert Morris College v. Board of Property Assessment, Appeals and Review, supra, at 658, 291 A.2d at 573. There must be facts which justify a finding that the “actual use and occupation” of the premises is primarily for the designated charitable object and not largely for commercial purposes. Article VIII, Section 2 of the Constitution of Pennsylvania; Lanchester Medical Center Appeal, 23 Pa. Commonwealth Ct. 596, 353 A.2d 75 (1976).

After careful review of the record, we must conclude that Doctor’s has failed to meet its heavy burden of proof.

*37 The clinic was established in 1974 with the intent and purpose of providing comprehensive podiatric care and attracting additional patients. 7

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Bluebook (online)
414 A.2d 134, 51 Pa. Commw. 31, 1980 Pa. Commw. LEXIS 1346, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-appeal-of-doctors-hospital-pacommwct-1980.