Rhyn Duplechain, Assessor for St. Landry Parish v. Pbgs, LLC
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Opinion
STATE OF LOUISIANA COURT OF APPEAL, THIRD CIRCUIT
13-83
RHYN L. DUPLECHAIN, ASSESSOR FOR ST. LANDRY PARISH
VERSUS
PBGS, L.L.C., ET AL.
**********
APPEAL FROM THE TWENTY-SEVENTH JUDICIAL DISTRICT COURT PARISH OF ST. LANDRY, NO. 12-C-5081-A HONORABLE JAMES P. DOHERTY JR., DISTRICT JUDGE
ELIZABETH A. PICKETT JUDGE
Court composed of Ulysses Gene Thibodeaux, Chief Judge, Elizabeth A. Pickett, and John E. Conery, Judges.
AFFIRMED AND REMANDED.
Brian A. Eddington Attorney at Law 8941 Jefferson Hwy, Suite 200 Baton Rouge, LA 70809 (225) 924-4066 COUNSEL FOR PLAINTIFF/APPELLANT: Rhyn L. Duplechain, Assessor Cheryl M. Kornick James C. Exnicios Elisabeth L. Baer LISKOW & LEWIS, APLC 701 Poydras Street, Suite 5000 New Orleans, LA 70139-5099 (504) 581-7979 COUNSEL FOR DEFENDANTS/APPELLEES: PBGS, L.L.C. and Port Barre Investments, LLC, c/o Spectra Energy Corp.
Lawrence P. Simon, Jr. LISKOW & LEWIS, APLC P. O. Box 52008 Lafayette, LA 70505-2008 (337) 232-7424 COUNSEL FOR DEFENDANTS/APPELLEES: PBGS, L.L.C. and Port Barre Investments, LLC, c/o Spectra Energy Corp.
Robert Dean Hoffman, Jr. Attorney at Law 7039 Hwy 190 E. Service Rd #A Covington, LA 70433-4961 (985) 727-3893 COUNSEL FOR DEFENDANT/APPELLEE: Louisiana Tax Commission PICKETT, Judge.
Tax assessor appeals the trial court’s grant of a taxpayer’s exception of lack
of subject matter jurisdiction. For the following reasons, we affirm.
FACTS
PBGS, L.L.C. c/o Spectra (PBGS)1 is the owner of an underground natural
gas storage facility situated in St. Landry Parish. For the 2011 tax year, St. Landry
Parish Tax Assessor Rhyn L. Duplechain (the Assessor) classified the storage
facility as “other property” and assessed it at 15% of fair market value. See
La.Const. art. 18, § (B)(5). PBGS filed an administrative appeal with the
Louisiana Tax Commission (LTC), asserting that the Assessor improperly
classified the storage facility as “other property” and that it should have been
classified as “land” which is assessed at 10% of fair market value. Id.
The Assessor filed an exception of lack of subject matter jurisdiction,
asserting that PBGS’s appeal “presents a question of constitutional interpretation
that is subject to the exclusive jurisdiction of the judicial branch” because it
contests the classification of property under La.Const. art. 7, § 18. The LTC
denied the exception, and the Assessor filed suit, asserting that the trial court, not
the LTC, has jurisdiction to address PBGS’s complaints. The Assessor filed a
motion to stay the proceedings before the LTC which the LTC opposed. After a
hearing, the trial court denied the request. PBGS filed an exception of lack of
subject matter jurisdiction which the trial court granted after a hearing. The
Assessor appealed the trial court’s judgment granting the exception of lack of
subject matter jurisdiction. 1 We reference PBGS herein as the parties reference it in the record. In their submission information contained on their trial court and appellate briefs, PBGS’s counsel, however, reference counsel as representing “PBGS, L.L.C. and Port Barre Investments, LLC, c/o Spectra Energy Corp.” ISSUE PRESENTED FOR REVIEW
The sole issue presented for review is whether the trial court has jurisdiction
to review the LTC’s denial of the Assessor’s exception of lack of subject matter
jurisdiction.
DISCUSSION
The Assessor contends that pursuant to La.R.S. 47:1989(D), read in pari
materia with La.R.S. 47:1998, his appeal was properly presented to the trial court.
Section 1989(D)(1) provides: “All decisions by the tax commission are final
unless appealed to the district court within thirty days.”
The LTC hears appeals filed by taxpayers and assessors concerning
“assessment lists as certified by the local board of review” when those parties are
“dissatisfied with the determination of the local board of review.” La.R.S.
47:1989(A)-(B), respectively. Section 1998(A)(1)(a) (emphasis added) provides:
Any taxpayer . . . dissatisfied with the final determination of the Louisiana Tax Commission under the provisions of R.S. 47:1989 shall have the right to institute suit within thirty days of the entry of any final decision of the Louisiana Tax Commission . . . in the district court contesting the correctness of assessment.
Reading Sections 1989 and 1998 in pari materia, we conclude that the term
“decisions” in Subsection 1989(D) refers to “final determination” or “final
decision” by the LTC regarding an “assessment” and that the LTC’s denial of the
Assessor’s exception of lack of subject matter jurisdiction was not a “final
decision” regarding “the correctness of assessment” as contemplated by La.R.S.
47:1989(D) and La.R.S. 47:1998. Accordingly, we find the Assessor’s argument
lacks merit.
Moreover, a declinatory exception of subject matter jurisdiction does not
determine the merits of the litigant’s claims and, therefore, is an interlocutory
2 exception that is not a final appealable judgment unless specifically provided for
by law. La.Code Civ.P. arts. 1841, 2083(C). See also Allen v. Valero Energy
Corp., 06-726 (La.App. 5 Cir. 1/9/07), 951 So.2d 370; Johnson v. Shelton Trucking
Serv., Inc., 597 So.2d 499 (La.App. 1 Cir.), rev’d on other grounds, 599 So.2d
1089 (La.1992). The Assessor has not cited any statute that specifically provides
for an appeal from an interlocutory judgment of the LTC denying an exception of
subject matter jurisdiction, and this court’s research has not revealed such a statute.
DISPOSITION
For these reasons, the judgment of the trial court granting the exception of
lack of subject matter filed by BCGS, L.L.C., c/o Spectra is affirmed, and this
matter is remanded to the Louisiana Tax Commission for further proceedings.
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