Pine Prairie Energy Center, LLC and Plains Marketing, L.P. v. Eddie Soileau, Sheriff and Ex Officio Tax Collector

CourtLouisiana Court of Appeal
DecidedJune 11, 2014
DocketCA-0014-0005
StatusUnknown

This text of Pine Prairie Energy Center, LLC and Plains Marketing, L.P. v. Eddie Soileau, Sheriff and Ex Officio Tax Collector (Pine Prairie Energy Center, LLC and Plains Marketing, L.P. v. Eddie Soileau, Sheriff and Ex Officio Tax Collector) is published on Counsel Stack Legal Research, covering Louisiana Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Pine Prairie Energy Center, LLC and Plains Marketing, L.P. v. Eddie Soileau, Sheriff and Ex Officio Tax Collector, (La. Ct. App. 2014).

Opinion

STATE OF LOUISIANA COURT OF APPEAL, THIRD CIRCUIT

14-5 c/w CW13-1300 and 14-142

PINE PRAIRIE ENERGY CENTER, LLC AND PLAINS MARKETING, LP

VERSUS

EDDIE SOILEAU, SHERIFF AND EX OFFICIO TAX COLLECTOR, PARISH OF EVANGELINE, STATE OF LOUISIANA AND DIRK DEVILLE, ASSESSOR, EVANGELINE PARISH, STATE OF LOUISIANA

************

APPEAL FROM THE THIRTEENTH JUDICIAL DISTRICT COURT PARISH OF EVANGELINE, NO. 73106-B HONORABLE THOMAS F. FUSELIER, JUDGE

J. DAVID PAINTER JUDGE

Court composed of Sylvia R. Cooks, J. David Painter, and Phyllis M. Keaty, Judges.

Cook, J., dissents.

AFFIRMED.

Brian A. Eddington 8941 Jefferson Hwy, Ste. 200 Baton Rouge, LA 70809 COUNSEL FOR DEFENDANTS-APPELLANTS: Eddie Soileau, Sheriff and Ex Officio Tax Collector for Evangeline Parish and Dirk Deville, Assessor for Evangeline Parish

Jesse R. Adams, III Andre B. Burvant 201 St. Charles Ave., 51st Fl. New Orleans, LA 70170 COUNSEL FOR PLAINTIFFS-APPELLEES: Pine Prairie Energy Center, LLC, and Plains Marketing, LP and the Industrial Development Board No. 1 of the Parish of Evangeline, State of Louisiana, Inc. Anthony L. Walker 1101 W. Main St. Ville Platte, LA 70586 COUNSEL FOR PLAINTIFF-APPELLEE: Industrial Development Board No. 1 of the Parish of Evangeline, State of Louisiana, Inc. PAINTER, Judge.

Defendants, Eddie Soileau, Sheriff for Evangeline Parish (the Sheriff), and

Dirk Deville, Assessor for Evangeline Parish(the Assessor), appeal the trial court‟s

grant of summary judgments filed by the Plaintiffs, Pine Prairie Energy Center,

L.L.C. (PPEC) and Plains Marketing, L.P., the parent company of PPEC. For the

following reasons, we affirm.

FACTS AND PROCEDURAL HISTORY

PPEC operates an underground natural gas storage facility and associated

facilities and pipelines located in Evangeline Parish (the PPEC project). PPEC

obtained the appropriate authorization for construction and operation of the PPEC

project from the Federal Energy Regulatory Commission in 2004. In May 2005, an

application was filed with the Evangeline Parish Police Jury (Police Jury) for the

establishment of Evangeline Parish Industrial Development Board Number 1 (the

IDB). The application included articles of incorporation indicating that the purpose

of the IDB was to acquire, own, and lease property to PPEC as a means of

encouraging PPEC to locate in the parish. An ordinance was adopted allowing

creation of the IDB, approving its articles of incorporation, and appointing a board

of directors.

In July 2005, the IDB entered into a memorandum of understanding with

PPEC agreeing to issue bonds to finance the acquisition and construction of the

project property, which would be owned by the IDB and leased to PPEC, and

agreeing that the property would not be subject to ad valorum property taxes. In

January 2006, the Police Jury and PPEC entered into an agreement affirming the

understandings and undertakings in the memorandum of understanding, including

the exemption from property taxes on the property during the lease period. On

March 20, 2006, the Assessor sent a letter to PPEC stating that the Assessor‟s 1 Office would not consider the property covered by the lease to be subject to

taxation as long as it was owned by the IDB.

The Police Jury approved the issuance of bonds by the IDB. In January

2006, Chesapeake Energy Marketing sold the Chalk Pipeline to PPEC. In May

2006, PPEC conveyed the property comprising the PPEC project (the PPEC

project property) including the Chalk Pipeline, the CGT Meter Site, and the gas

storage facility, to the IDB and leased it back. In 2011, the Assessor placed the

PPEC project property on the tax rolls. PPEC objected and paid the taxes under

protest.

On January 25, 2012, PPEC and Plains Marketing, L.P. filed the suit

currently before this court on appeal under docket number 14-5 asserting that they

were not the owner of any of the property listed in the assessments, including the

gas storage facility property, the Chalk Pipeline and the CGT Meter Site, seeking a

declaratory judgment that the PPEC project property was exempt from taxation,

and that they were entitled to refund of the taxes paid under protest. The suit was

later amended to add the IDB as a party plaintiff. The Assessor determined that the

storage facility property had been conveyed to the IDB, cancelled the assessments,

and reissued them in the name of the IDB. The Sheriff refunded the taxes paid

under protest.

On January 29, 2013, PPEC, on its own behalf and on behalf of the IDB,

filed an additional suit, now before this court on appeal under docket number 04-

142, seeking recovery of taxes paid under protest and declaratory judgment that the

property at issue is owned by the IDB, and that, as such, it is exempt from property

taxes, as well as cancellation of the tax notices, and a permanent injunction

prohibiting the Assessor and the Sheriff from issuing any future tax assessments.

2 PPEC filed a motion for summary judgment in each suit. In the original suit,

in a motion filed on August 15, 2013, Plaintiffs asked for summary judgment as

follows:

1) Finding that Petitioners do not owe any ad valorem property taxes on any property that is owned by the Industrial Development Board No 1 of the Parish of Evangeline State of Louisiana, Inc. (Evangeline Parish IDB);

2) Finding that the Chalk Pipeline and CGT Meter Site as defined in the accompanying Memorandum are not owned by Petitioners as they were conveyed to the Evangeline Parish IDB;

3) Finding that the property owned by the Evangeline Parish IDB is exempt from ad valorem property taxation;

4) Ordering a refund of all unreimbursed ad valorem property taxes paid by Petitioners under protest along with interest as provided by law; and

5) Prohibiting the Sheriff and the Assessor and from issuing to Petitioners any future assessments, tax bills, tax notices, tax liens, notices of seizure or adjudications related to the Chalk Pipeline, the CGT Meter Site or any other property as long as it is owned by the Evangeline Parish IDB.

In the second suit, Plaintiffs asked for a partial summary judgment as

1 Finding that the Chalk Pipeline and CGT Meter Site are owned by the IDB;

2 Finding that property owned by the IDB is public property and is thus exempt from ad valorem property taxation;

3 Cancelling all assessments, tax notices, tax statements or bills issued to the IDB and all assessments, tax notices, tax statements or bills issued to PPEC regarding the Chalk Pipeline and the CGT Meter Site;

4 Ordering a refund to PPEC of all ad valorem property taxes paid under protest along with interest as provided by law; and

5 Declaring that any future assessments, tax bills, tax notices, tax liens, notices of seizure or other adjudications related to the Chalk Pipeline CGT Meter Site or all other property that is owned by the IDB for as long as it is owned by the IDB are void ab initio, null, illegal and of no effect. 3 After hearing arguments, the trial court granted Defendants a summary

judgment in the first suit and a partial summary judgment in the second suit.

Defendants filed a writ with this court asking for an unlimited appeal, which is

before this court under docket number 13-1300 and which this court referred to the

merits. Defendants appeal the judgments of the trial court, and this court has

consolidated the matters on appeal on its own motion.

DISCUSSION

Summary Judgment

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Pine Prairie Energy Center, LLC and Plains Marketing, L.P. v. Eddie Soileau, Sheriff and Ex Officio Tax Collector, Counsel Stack Legal Research, https://law.counselstack.com/opinion/pine-prairie-energy-center-llc-and-plains-marketing-lp-v-eddie-lactapp-2014.