In Re Tax Appeal of Fuji Photo Film Hawaii, Inc.

904 P.2d 517, 79 Haw. 503, 1995 Haw. LEXIS 77
CourtHawaii Supreme Court
DecidedOctober 9, 1995
Docket17264
StatusPublished
Cited by5 cases

This text of 904 P.2d 517 (In Re Tax Appeal of Fuji Photo Film Hawaii, Inc.) is published on Counsel Stack Legal Research, covering Hawaii Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
In Re Tax Appeal of Fuji Photo Film Hawaii, Inc., 904 P.2d 517, 79 Haw. 503, 1995 Haw. LEXIS 77 (haw 1995).

Opinion

*504 KLEIN, Justice.

The question in this appeal by the Department of Taxation from the Tax Appeal Court is whether the “photoprocessing” activities of Fuji Photo Film Hawaii, Inc. (Fuji) constitute “manufacturing,” which is taxable at the rate of one-half of one percent, or a “service,” which is taxable at the rate of four percent. We agree with the Tax Appeal Court’s conclusion that the Director of Taxation’s (Tax Director) assessment of taxes on the taxpayer’s income at the higher rate was inconsistent with the General Excise Tax Law and the Use Tax Law.

I. BACKGROUND

The facts in this case are uncontroverted. For the period from October 1, 1987 through September 30, 1990, Fuji reported $174,-026.88 in total taxes owed (including monthly, quarterly or semiannual payments already made) based on revenues derived from (1) wholesale and retail photoprocessing operations, and (2) the sale of color print paper and developing chemicals to “minilabs” that are also engaged in photoprocessing operations. 1

A. The Photo Processing Operation

Fuji’s cross-motion for summary judgment included affidavits by George Otsuka, Fuji’s General Manager and Treasurer, and Take-shi Masuyama, Fuji’s Technical Advisor. According to both affiants, the color film processing currently performed by Fuji is “drastically different” from the older process used in making black and white prints. In the old process, no dyes were transferred and there was less transformation of the film. Otsuka suggests that from 1935 to 1957, color film processing of amateur film was limited to plants owned by Eastman Kodak Company because the film was sold with processing by Kodak included in the purchase price; furthermore, “virtually all photographic processing done by firms other than Kodak was limited to black and white film or certain sizes of professional film.” 2

Fuji’s processing of both film and paper results in the transfer of chemicals onto the finished negative and print. Reactive color development chemicals in the film processing equipment first create a black and white, metallic-silver image in the film. Color development compounds are then added; these chemicals react with colorless dye couplers to create a color dye image. Bleach and fix solutions then remóve the black and white image, leaving behind only the color dye image.

A printer then projects light through this negative image, exposing the photographic paper and triggering the formation of invisible atoms of metallic silver (a “blueprint”) on the surface of the photographic paper’s nonmetallic silver halide grains. Next, the color developer acts on the exposed silver halide grains to create a physical black and white silver image where only the “blueprint” existed before. Color development compounds then combine and react with colorless dye couplers to create a color dye image. Finally, bleach and fix solutions remove the black and white silver image (by making it soluble and then dissolving it away, to be recovered later as metal), leaving behind only the color dye image.

Just under seventy percent of the chemicals used in Fuji’s developing process are transferred to the film and paper. According to both affiants, “there is a complete change in the makeup of the film when it is converted to a negative, and in the paper when it is processed.” (Emphasis added.) The customer’s previously valueless, undeveloped film, is returned as “new property” whose only common characteristic with the original film is the acetate base upon which the “picture” is carried. “The film developing process adds dyes, stabilizers and har *505 deners to the film base, while silver halide, emulsion layers, antihilation backing, and other materials are removed.” Masuyama added that “[t]he film is converted from a chemically unstable substance [which ‘has a very limited life span’] to a stable, useful article.”

B. Competing Tax Classifications

1. Fuji’s Tax Reports

For the Fiscal Years Ending (FYE) in 1988, 1989, and 1990, respectively, Fuji reported the following revenues and imports subject to taxation under HRS chapters 237 (General Excise, or “G.E.” Tax) and 238 (Use Tax):

TAX CATEGORY (rate) EYE 9/30/88 (tax) G.E. Tax:
wholesaling (.005) $7,623,282.03 ($38,116.41)
retailing (.040) $197,769.93 ($7,910.80)
interest (.040) $15,782.24 ($631.29)
other rentals (.040) $15,000.00 ($600.00)
others (.040) $4,298.76 ($171.95)
Use Tax: imports for resale (.005) $259,305.35 ($1,296.53)
consumption (.040) $36,008.66 ($1,440.35)
TAX CATEGORY (rate) FYE 9/30/89 (tax) G.E. Tax:
wholesaling (.005) $8,715,098.62 ($43,575.49)
retailing (.040) $249,772.08 ($9,990.88)
interest (.040) $9,684.54 ($387.38)
other rentals (.040) $15,000.00 ($600.00)
others (.040) $4,298.76 ($171.95)
Use Tax: imports for resale (.005) $261,488.79 ($1,307.44)
consumption (.040) $36,008.66 ($1,440.35)
TAX CATEGORY G.E. Tax: (rate) FYE 9/30/90 (tax)
wholesaling (.005) $9,603,154.97 ($48,015.77)
retailing (.040) $241,867.23 ($9,674.69)
interest (.040) $9,596.64 ($383.88)
other rentals (.040) $15,000.00 ($600.00)
others (.040) $0.00 ($0.00)
Use Tax: imports for resale (.005) $339,343.40 ($1,696.72)
consumption (.040) $96,786.10 ($3,871.44)

Accordingly, Fuji reported that it owed the following taxes:

FYE 9/30/88 FYE 9/30/89 FYE 9/30/90
Ch. 237: $47,430.45 $54,578.54 $58,674.34
Ch. 238: $2,736.88 $5,038.51 $5,568.16
Total $50,167.33 $59,617.05 $64,242.50
TOTAL = $174,026.88

Based on its belief that “photoprocessing” constitutes a manufacturing activity as opposed to a service activity, Fuji included two types of sales in the “wholesaling” category: 1) photoprocessing sales to drug stores, supermarkets and other retailers, see HRS §§ 237-4(1) and -13(1) (Supp.1992) (taxing wholesale sales at the rate of one-half of one percent) 3

Free access — add to your briefcase to read the full text and ask questions with AI

Related

State v. Goodmann
915 A.2d 79 (New Jersey Superior Court App Division, 2007)
Tax Appeal of Alford v. City & County of Honolulu
122 P.3d 809 (Hawaii Supreme Court, 2005)

Cite This Page — Counsel Stack

Bluebook (online)
904 P.2d 517, 79 Haw. 503, 1995 Haw. LEXIS 77, Counsel Stack Legal Research, https://law.counselstack.com/opinion/in-re-tax-appeal-of-fuji-photo-film-hawaii-inc-haw-1995.