Lake County Board of Equalization v. Department of Revenue

4 Or. Tax 25
CourtOregon Tax Court
DecidedDecember 12, 1969
StatusPublished

This text of 4 Or. Tax 25 (Lake County Board of Equalization v. Department of Revenue) is published on Counsel Stack Legal Research, covering Oregon Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Lake County Board of Equalization v. Department of Revenue, 4 Or. Tax 25 (Or. Super. Ct. 1969).

Opinion

Edward H. Howell, Judge.

This case involves the true cash value of the real property in the ZX cattle ranch in Lake County, Oregon, for the tax year 1968-69. The background and the facts are almost identical to the prior case, Lake Co. Bd. of Equal. v. Com. et al, 3 OTR 221 (1968), and will not be repeated here.

In the prior case in this court the true cash value of the subject property was established at $2,364,570 as of January 1, 1967. For the tax year 1968-69 the plaintiff Lake County Board of Equalization increased the value to $3,405,730. On appeal by the ZX Ranch, Inc. to the Department of Revenue the value was re *26 diieed to $2,364,570. The board of equalization appealed to this court contending that the order of the department should be set aside and the value established at $3,405,730. The Department of Revenue has not appeared in this suit. The defendant ZX Ranch contends that the property should be valued at $2,213,625.

Qualified and expert appraisers appeared for the Lake County Board of Equalization and the defendant ZX Ranch.

The primary disagreement between the appraisers centered around the number of animal units in the carrying capacity of the ranch.

As in the previous case, the evidence preponderates in favor of the valuation claimed by the defendant. The defendant’s appraiser found the true cash value of the subject property to be $2,975,000, and allowed a deduction of $761,375 for BLM and Forest Service rights, irrigation equipment, land located in Klamath County and for range and meadow grass and alfalfa. The evidence in this case does not justify the deduction for the grasses and alfalfa.

The true cash value of the subject real property as of January 1, 1968, is established as follows:

8500 cow carrying capacity at $350 $2,975,000

Less:

BLM and Forest Service rights $202,500

Irrigation equipment 92,800

Klamath County land 52,430 347,730

Total true cash value $2,627,270

The order of the Department of Revenue is affirmed except as modified herein.

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Related

Lake County Board of Equalization v. Commission
3 Or. Tax 221 (Oregon Tax Court, 1968)

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Bluebook (online)
4 Or. Tax 25, Counsel Stack Legal Research, https://law.counselstack.com/opinion/lake-county-board-of-equalization-v-department-of-revenue-ortc-1969.