Lfgc, LLC v. Clackamas County Assessor, Tc-Md 080529d (or.tax 10-29-2009)

CourtOregon Tax Court
DecidedOctober 29, 2009
DocketTC-MD 080529D.
StatusPublished

This text of Lfgc, LLC v. Clackamas County Assessor, Tc-Md 080529d (or.tax 10-29-2009) (Lfgc, LLC v. Clackamas County Assessor, Tc-Md 080529d (or.tax 10-29-2009)) 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
Lfgc, LLC v. Clackamas County Assessor, Tc-Md 080529d (or.tax 10-29-2009), (Or. Super. Ct. 2009).

Opinion

DECISION
LFGC, LLC (Plaintiff) appeals the real market value (RMV) of the property identified as Clackamas County Assessor's Account 00835065 for tax year 2007-08. A trial was held on July 8, 2009. Jack Orchard, Attorney at Law, appeared on behalf of Plaintiff. Chris Maletis (Maletis), co-owner of Plaintiff, and Richard Zbranek (Zbranek), certified appraiser, testified on behalf of Plaintiff. Kathleen Rastetter, Senior County Counsel, appeared on behalf of Defendant. Ronald Saunders (Saunders), registered appraiser, testified on behalf of Defendant.

I. STATEMENT OF FACTS
The subject property, Langdon Farms Golf Club, is the land and structures of a public, daily-fee golf course located at 24377 NE Airport Road, Aurora, OR 97002. (Ptf's Ex 1-29.) Both Zbranek and Saunders agree that the highest and best use of the property is, as currently improved, an income-generating golf course. (Ptf's Ex 1-40; Def's Ex A-30.)

The golf course is considered to be average to above average for overall appeal and competitive design, and Zbranek testified that the golf course is physically above average. The Portland Business Journal readers in February 2009, rated the golf course the number one course to host a tournament or corporate event for the fifth year in a row. (Def's Ex A-10.) The golf course is located outside of the Urban Growth Boundary, and, as a result, "must depend upon *Page 2 extending its reputation to the greater Portland/Vancouver golfing area." (Ptf's Ex 1-27.) "[A]pproximately 1/3 of [the] total annual rounds [of golf are] comprised of tournament rounds," and Zbranek testified that the golf course is the type and quality that caters to outings and events. (Id.) The golf course has a clubhouse that is a multi-purpose facility with a commercial kitchen. (Ptf's Ex 1-34.) The course also has a special events building, called the Red Shed, that is approximately 6,000 square feet and is used to accommodate larger events. (Id.)

Plaintiff is the corporate business entity that owns and operates the golf course. Maletis testified that he was a partial owner of the golf course at the time the golf course was constructed, and that Maletis and his brother, Tom Maletis, purchased a 100 percent interest in the golf course on January 1, 2002, for $10,200,000.

Both Plaintiff and Defendant provided appraisal reports in support of their determinations of the RMV of the subject property. Plaintiff's appraisal report, prepared by Zbranek and Timothy Garey (Garey), concluded that the RMV, as of January 1, 2007, was $3,040,000. (Ptf's Ex 1-62.) Defendant's appraisal, prepared by Saunders, concluded that the RMV of the property as of January 1, 2007, was $6,148,249. (Def's Ex A-44.) Both appraisals did not include a cost approach to determine RMV because market participants give that approach little weight. (Ptf's Ex 1-42; Def's Ex A-31.)

Both appraisals placed primary weight on the income approach and secondary weight on the sales comparison approach. (Ptf's Ex 1-61; Def's Ex A-44.) Zbranek's appraisal report stated that he favored the use of an income capitalization approach because "[n]ot only does this approach represent the most direct and accurate simulation of market behavior, it is the method explicitly employed by buyers and sellers in acquisition and disposition decisions." (Ptf's Ex 1-62.) Saunder's appraisal report supported his use of the income capitalization *Page 3 approach with the statement that "[t]he income approach reflects the [market's] perception of the relationship between a property's potential income and its market value. * * * [That] approach is widely applied when appraising income-producing properties." (Def's Ex A-32.)

From 2003 to 2007, Plaintiff's net operating income (NOI) increased. The following table includes Plaintiff's gross revenue, total expenses, NOI, NOI as a percentage of gross revenue, and the expenses as a percentage of gross revenue (expense ratio) for those years as

reported by Zbranek and Saunders in their appraisal reports.

Year         Total Gross   Total Expenses (Including    NOI      NOI as % of     Expense
             Revenue       Cost of Goods Sold)                   Gross Revenue   Ratio
2003*    $3,658,994    $3,627,763                   $31,231    0.90%         99.10%
2004*    $3,654,568    $3,458,423                   $196,145   5.40%         94.60%
2005*    $3,760,441    $3,562,311 [including        $198,130   5.30%         94.70%
                           $21,992 in Golf Cart Lease]
2005**   $3,760,441    $3,540,318                   $220,123   5.90%         93.10%
2006*    $3,843,306    $3,442,773   [including      $400,533   10.40%        89.60%
                           $52,781 in Golf Cart Lease]
2006**   $3,843,306    $3,389,992                   $453,314   11.80%        88.2%***
2007**   $4,039,644    $3,424,341                   $615,303   15.20%        84.8%***

* Data provided in or derived from Plaintiff's Exhibit 1 at 51.

** Data provided in or derived from Defendant's Exhibit A at 34.

*** Includes cost of goods sold expenses which Defendant omitted from its expense ratio percentage.

The Total Expenses for each year included real property taxes as follows: $97,884 in 2003, $92,805 in 2004, $97,730 in 2005 and $67,683 in 2006. (Ptf's Ex 1-51.) Plaintiff's appraisal report reported a different amount for real property taxes for tax year 2005 and 2006 ($79,719). (Ptf's Ex 1-54.) Langdon Farms Golf Club Consolidated Income Statements for the Years ended November 2006 and 2005, respectively, reported real property taxes of $67,484 and $90,209. (Def's Ex D-1.)

Zbranek and Saunders presented differing values for the total expenses for 2005 and 2006. In Zbranek's line-item expense table, he included "Golf Cart Lease" in addition to the other expenses that he used to determine total expenses. (Ptf's Ex 1-51.) Saunders testified that *Page 4 when he received income statements from Plaintiff, he did not notice the golf cart leases on the statements.

Plaintiff's appraisal report forecast revenue of $3,867,750 for 2007. (Ptf's Ex 1-53.) Zbranek supported that forecast amount through evidence showing that the revenue trended upward year to year, which suggested that revenue would continue to trend up for the forecast year.

Zbranek forecast numerous line-item expenses to determine a forecast total expenses amount of $3,476,227. (Ptf's Ex 1-56.) To determine those expenses, Zbranek "relied on the historical expenses of the subject property along with referencing confidential operating statements of other similar daily fee and semi-private golf clubs[.]" (Ptf's Ex 1-53.) Specifically included within the line-item expenses were $96,694 for management and $270,000 for general and administrative payroll, although no amount was included for real estate taxes.

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Lfgc, LLC v. Clackamas County Assessor, Tc-Md 080529d (or.tax 10-29-2009), Counsel Stack Legal Research, https://law.counselstack.com/opinion/lfgc-llc-v-clackamas-county-assessor-tc-md-080529d-ortax-10-29-2009-ortc-2009.