Loveness v. State Tax Commission

3 Or. Tax 25
Oregon Tax Court·Decided May 5, 1967·Published·Cited by 1 cases

Opinions

Edward H. Howell, Judge.

The question involved is whether plaintiffs’ complaint should be dismissed for plaintiffs’ failure to serve the tax commission with a certified copy of the complaint within the sixty days provided for by ORS 814.460(1). That statute requires that appeals to the Tax Court in income tax cases be accomplished by “filing a complaint against the commission in the Oregon Tax Court and by serving a true copy thereof *26 upon the commission by registered or certified mail within 60 days after notice by the commission of its determination has been received by the taxpayer * * *."

Notice of the defendant’s determination of deficiency was received by plaintiffs on August 9, 1966. The plaintiffs’ complaint was filed in this court on October 6. The sixty days for filing in the Tax Court and serving the defendant commission expired on Saturday, October 8, 1966. However, under ORS 174.120 the time would be extended until the close of business on Monday, October 10, 1966. On Monday, October 10, plaintiffs mailed, by certified mail, a copy of the complaint to the defendant. It was received by defendant on October 11, 1966.

The defendant contends that the certified copy of the complaint had to be received by the commission on or before October 10, 1966, to be within the sixty days provided for in ORS 314.460(1). The plaintiffs’ position is that the mailing of the certified copy on the sixtieth day is sufficient and that it does not have to be actually received by the commission within the 60-day period.

Prior to 1965 the filing of the complaint and service upon the commission in the manner- and within the time provided in ORS 314.460(1) was jurisdictional. McCain v. State Tax Com., 227 Or 486, 360 P2d 778, 363 P2d 775 (1961). However, in 1965 the legislature amended ORS 305.425 (Or L 1965, ch 6) to provide that the time allowed for appeals from the tax commission to the Tax Court is not jurisdictional but is a period of limitations. The defendant has timely raised the statute of limitations in its answer.

ORS 305.425 states that the review by the Tax Court of orders of the tax commission shall be by *27 an original proceeding in the nature of a suit to set aside the order of the commission. This suit, according to ORS 314.460(1), is commenced by filing a complaint in the Tax Court and serving the commission within the 60-day period which constitutes the statute of limitations for filing appeals in income tax cases. To that extent it is comparable to ORS 12.020 in the general statutes regarding limitations of actions and suits. ORS 12.020 provides that an action is deemed commenced within the time limited when the complaint is filed and the summons served on the defendant. The following statute, ORS 12.030, states that an attempt to commence an action is equivalent to the commencement when the complaint is filed and the summons delivered to the sheriff with the intent that it be actually served. It is sufficient if the summons is delivered to the sheriff within the period of limitations and if the sheriff serves the summons within sixty days after the filing of the complaint. Lang v. Hill, 226 Or 371, 360 P2d 316 (1961).

Under ORS 12.030 the sheriff is the delivery agent for the service of the summons. Under ORS 314.460(1), requiring service by registered or certified mail, the United States Postal Service is the delivery agent.

In the instant case the delivery within the sixty days of the certified copy of the complaint to the postal service for transmittal by registered or certified mail to the tax commission should be sufficient to satisfy the statute.

“Service of process by mail, when authorized, is deemed complete when the writ is deposited in the post office, properly addressed and with the proper amount of postage. And it is sufficient if *28 it is deposited in the mail on the last day allowed for service, although it is not received by the other party until after that day.” 42 Am Jur 48.

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Loveness v. State Tax Commission, 3 Or. Tax 25 (Or. Super. Ct. 1967).

3 Or. Tax 25 (Loveness v. State Tax Commission) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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3 Or. Tax 169 (Oregon Tax Court, 1968)