Real Estate Taxes of Northerly Centre Corp. v. County of Ramsey

248 N.W.2d 923, 311 Minn. 335, 1976 Minn. LEXIS 1651
CourtSupreme Court of Minnesota
DecidedDecember 23, 1976
Docket46316
StatusPublished
Cited by14 cases

This text of 248 N.W.2d 923 (Real Estate Taxes of Northerly Centre Corp. v. County of Ramsey) is published on Counsel Stack Legal Research, covering Supreme Court of Minnesota primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Real Estate Taxes of Northerly Centre Corp. v. County of Ramsey, 248 N.W.2d 923, 311 Minn. 335, 1976 Minn. LEXIS 1651 (Mich. 1976).

Opinion

MacLaughlin, Justice.

This is an appeal by petitioner, Northerly Centre Corporation, hereafter Northerly Centre, from a judgment of the district court finding the Ramsey County assessor’s 1973 valuation of petitioner’s real estate to be excessive and reducing the value to the sum of $4,800,000. It is Northerly Centre’s belief that the trial court did not sufficiently reduce the valuation of its property and that the trial court’s valuation is not reasonably supported by the evidence. Because we find that there is sufficient evidence to support the trial court’s conclusion, we affirm.

*336 Northerly Centre filed a petition in Ramsey County District Court seeking a reduction in the assessor’s valuation for the year 1974 on certain real estate in Ramsey County known as the “Skyway Building.” The Ramsey County assessor had determined that the fair market value of the property on January 2, 1973, was $5,934,500 whereas petitioner alleged that the actual market value was not more than $3,500,000.

The Skyway Building is located in the central business district of St. Paul, on the north half of two blocks between Fifth and Sixth Streets. It is a general-purpose commercial structure containing retail and office space as well as commercial parking facilities and is unique in that it extends from Capital Plaza near Wabasha Street, easterly by occupied air rights over Cedar Street to Minnesota Street. The two-story structure is contiguous to the Northwestern National Bank of St. Paul, hereafter the Bank, providing covered access to the latter’s open banking floor on the Skyway level. 1

The Skyway Building was constructed as a component of an urban renewal plan for the development of downtown St. Paul on land originally acquired from the St. Paul Housing and Redevelopment Authority. Improvements to the site were built by Eljay Partnership whose general partner was L. J. Sheridan Co., a Chicago developer. When Eljay encountered financial difficulties in the early development of the project, it secured a second mortgage held by the Bank, in addition to the first mortgage already held by the Prudential Insurance Company.

By January 1974 Eljay was in default on all of its principal obligations. The Bank, as a tenant of certain of the Skyway Building offices, believed that it was closely identified with the complex by the public and feared that the financial failure of the Skyway Building would reflect adversely upon it. Therefore the Bank used Northerly Centre, a related corporation, to acquire *337 complete ownership of the building and land from El jay. Northerly Centre paid off the amounts owed on the first and second mortgages, as well as the delinquent taxes and penalties, and assumed the first mortgage, which was almost $4,000,000. Total cost of the acquisition was approximately $7,625,000.

The market value of the Skyway Building was originally set by the assessor at approximately $5,900,000, and Northerly Centre, after acquiring ownership, applied for abatement of the assessments based on that market value for the years 1970, 1971, and 1972. Although not successful in obtaining a change for 1970, Northerly Centre did obtain reduced assessments for the years 1971 and 1972, based on a reduction in the market value of the property in the amount of $600,000 for 1971 and an additional $600,000 in 1972, during which periods of time the former owners were trying to “rent out” the building. However, since abatements for one year have no effect on a determination of the market value in subsequent years, the county apparently did not feel bound beyond the abatements for 1971 and 1972.

At trial, testimony pertaining to the value of the Skyway Building was offered by real estate appraisers for Northerly Centre and for the county, with, as usual, widely differing opinions expressed.

Dayton Jenks, supervisor of the commercial-industrial property evaluation division of the county assessor’s office, testified for the county that the value of the property as of January 2, 1973, was $5,933,500. Jenks testified that he had taken into account the cost, location, quality of construction, and comparable value of like property, and that he had employed the three recognized approaches to valuation of real property: cost, market data, and income. 2 Jenks concluded that the property should be *338 valued by the cost approach since the market data approach could be related only to a single recent sale in downtown St. Paul and since sufficiently detailed income data had not been available to him.

Eichard Parranto, the county’s independent appraiser, testified that in his opinion the value of the property, using the cost approach, was $6,000,000; using the market data approach, was $6,300,000; and using the income approach was $5,250,000. 3 He stated that the cost and market data approaches best expressed value in regard to the Skyway Building and concluded that the fair market value of the property was $6,250,000.

Petitioner presented an extensive report prepared by William Muske, an independent appraiser. Muske did not use the market data approach at all because of the absence of meaningful comparable sales, and using the cost approach he arrived at a value of $4,130,000. Muske concluded that in any case the cost and market data approaches to valuation should be given little weight since income properties like the Skyway Building are bought and sold in reliance upon the net income they can produce for their owner-investors capitalized at a reasonable rate of return. After analysis of the actual and potential rental income and operating expenses of the Skyway Building, Muske applied a 10-percent capitalization rate to the net “economic income” and concluded that the income approach to value, based on economic income and expenses, yielded a valuation of from $3,320,000 to $3,690,000 and that the overall fair market value was $3,500>000.

The trial court, in a complete and ¡extensive memorandum, *339 stated that return to investors must be “a prime consideration in valuation” of the building, but went on to observe that “in the current time of stress in the real estate market in downtown St. Paul, a fact readily observable to even the casual visitor, other factors such as cost must also be considered” in arriving at fair market value. Expressing dissatisfaction with the county’s “obvious inordinate reliance on cost and failure to account for income data” and with Northerly Centre’s “almost exclusive reliance on income as the only source of valuation,” the trial court determined that the fair market value of the property was $4,800,000.

The sole issue on appeal is whether the trial court’s valuation of the subject property is reasonably supported by the evidence as a whole.

There is no substantial dispute regarding the underlying facts which comprise the basis for the expert opinions as to the fair market value of the Skyway Building.

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

Related

Lewis v. County of Hennepin
623 N.W.2d 258 (Supreme Court of Minnesota, 2001)
Ferche Acquisitions, Inc. v. County of Benton
550 N.W.2d 631 (Supreme Court of Minnesota, 1996)
Tax Appeal of County of Maui v. KM HAW.
915 P.2d 1349 (Hawaii Supreme Court, 1996)
Equitable Life Assurance Society of the United States v. County of Ramsey
530 N.W.2d 544 (Supreme Court of Minnesota, 1995)
Harold Chevrolet, Inc. v. County of Hennepin
526 N.W.2d 54 (Supreme Court of Minnesota, 1995)
DeZurik Corp. v. County of Stearns
518 N.W.2d 14 (Supreme Court of Minnesota, 1994)
Montgomery Ward & Co., Inc. v. County of Hennepin
482 N.W.2d 785 (Supreme Court of Minnesota, 1992)
Weyerhaeuser Co. v. County of Ramsey
461 N.W.2d 922 (Supreme Court of Minnesota, 1990)
Short v. County of Hennepin
353 N.W.2d 525 (Supreme Court of Minnesota, 1984)
In Re Objection to Real Property Taxes
353 N.W.2d 525 (Supreme Court of Minnesota, 1984)
McCannel v. County of Hennepin
301 N.W.2d 910 (Supreme Court of Minnesota, 1980)
Northwest Airlines, Inc. v. Commissioner of Revenue
265 N.W.2d 825 (Supreme Court of Minnesota, 1978)

Cite This Page — Counsel Stack

Bluebook (online)
248 N.W.2d 923, 311 Minn. 335, 1976 Minn. LEXIS 1651, Counsel Stack Legal Research, https://law.counselstack.com/opinion/real-estate-taxes-of-northerly-centre-corp-v-county-of-ramsey-minn-1976.