Santa Catalina Island Conservancy v. County of Los Angeles

126 Cal. App. 3d 221, 178 Cal. Rptr. 708, 1981 Cal. App. LEXIS 2415
CourtCalifornia Court of Appeal
DecidedNovember 30, 1981
DocketCiv. 59428
StatusPublished
Cited by16 cases

This text of 126 Cal. App. 3d 221 (Santa Catalina Island Conservancy v. County of Los Angeles) is published on Counsel Stack Legal Research, covering California Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Santa Catalina Island Conservancy v. County of Los Angeles, 126 Cal. App. 3d 221, 178 Cal. Rptr. 708, 1981 Cal. App. LEXIS 2415 (Cal. Ct. App. 1981).

Opinion

*227 Opinion

SPENCER, P. J.—

Introduction

Defendants Los Angeles County and the California Board of Equalization appeal from a judgment in favor of plaintiff, the Santa Catalina Island Conservancy (Conservancy).. After the Board of Equalization denied the Conservancy’s claim for exemption from property taxes pursuant to Revenue and Taxation Code sections 214 and 214.02, the Conservancy sought a refund of ad valorum property taxes paid for the tax years 1975-1976, 1976-1977, 1977-1978 and 1978-1979, and a declaration that section 214.02 was constitutional. The trial court found that sections 214 and 214.02 are constitutional and that the property owned by the Conservancy on Santa Catalina Island was, with limited exceptions, entitled to the welfare exemption provided therein.

Statement of Facts

Background

The Conservancy was organized in 1972 as a California nonprofit corporation for the purpose of preserving open space land for the pursuit of recreation and enjoyment of scenic beauty on Santa Catalina Island (Catalina), and for the preservation of native plants and animals, biotic communities, and geological and geographical features of educational interest. The Conservancy has received exemptions from federal and state income taxes which are premised in part on findings by the respective taxing authorities that the Conservancy is organized and operated exclusively for charitable purposes.

During the period from December 1973 to February 1974, the shareholders of the Santa Catalina Island Company donated all of the company’s issued and outstanding shares of class A common stock, to the Conservancy. Among the assets of the Santa Catalina Island Company was the fee title to Catalina.

In February 1974, the Santa Catalina Island Company granted a 50-year Open Space Easement (Gov. Code, § 65560, subd. (b)(2)) to Los Angeles County on 41,000 acres of Catalina. In granting the easement, the company reserved the right to use, maintain, regulate and *228 charge fees for the úse of interior roads and to build lodges, hotels, or other public accommodation facilities on land subject to the easement, as well as certain other rights not pertinent herein. The easement provides for the preservation of the open space character of Catalina and protection of wildlife, plants, and geological and archeological sites. In addition, the easement assures the availability of the land for use by the public for recreational, scientific, educational and scenic enjoyment purposes. As a result of the Open Space Easement, the Santa Catalina Island Company received a substantially reduced market value tax assessment of the property subject to the easement.

In February 1975, the Santa Catalina Island Company redeemed the shares of stock which had been donated to the Conservancy by conveying the fee title to 42,000 acres of Catalina to the Conservancy. With the exception of Rancho Escondido (lot 60), all of the land subject to the Open Space Easement was included in the acreage conveyed to the Conservancy. By the terms of article IX of the Conservancy’s articles of incorporation, the land in question became irrevocably dedicated to charitable purposes when title vested in the Conservancy.

Operation of the Conservancy

The primary power to direct the Conservancy rests with the benefactors, among whom members of the Wrigley family have been prominent. 1 At the time of trial, the benefactors of the Conservancy were William Wrigley; Robert Given, Director of the University of Southern California Catalina Marine Science Center; and Claude Brooks, an employee of the Chicago-based William Wrigley, Jr., Company. Benefactors are elected by the Conservancy board of directors. A majority of benefactor members constitutes a quorum at any meeting of members and their majority vote will decide any question brought before a membership meeting.

The Conservancy board of directors is elected at annual membership meetings and, in turn, elects the Conservancy officers. The Conservancy board of directors and officers from 1975 to 1977 were Douglas A. Probst, president and managing director (formerly employed by the Santa Catalina Island Company or its subsidiary); Hollis W. Moyse, *229 controller of the William Wrigley, Jr., Company; and Malcolm J. Renton, retired vice president of the Santa Catalina Island Company.

Natural Character of the Island

Catalina is one of eight Channel Islands. The island is approximately 21 miles long and varies in width from approximately one-half mile at the isthmus to a maximum of approximately eight miles for a total land area of approximately 48,438 acres. Elevations range from sea level to the 2,109-foot height of Mt. Orizaba.

The island rises abruptly from the water with, however, a platform extending for some distance offshore. The platform has an approximate width of one mile on the landward or channel side and two miles on the ocean side. It provides a suitable habitat for submarine gardens.

Geologically, the island may be described as the upper portion of a fault block which rises approximately one mile from the ocean floor. The uppermost remnants of the fault block are visible as a single ridge which traverses the island from end to end without a marked break except at the isthmus. Mt. Orizaba and Mt. Blackjack are the most notable peaks along the ridge. The bedrock geology of the island is pretertiary metamorphic rock and, in this respect, Catalina differs from the other Channel Islands. This rock is the oldest known on the island or the adjacent ocean bed, and is visible in outcroppings on approximately one-half of the island.

The main portion of the island is composed of Franciscan complex rock, which is rare in Southern California. There are limestone deposits containing fossils of the Miocene Era and marine terrace deposits south of Little Harbor and along the edge of Avalon Canyon as well as wave terraces in the Salte Verde area. The surface of the island is generally dissected by steep, geologically youthful canyons which, in combination with the sharp ridges, create a generally rugged topography. The rugged shoreline of the island is generally characterized by high, precipitous sea-cliffs which reach a height of approximately 1,400 feet at the Palisades. The western end of the island contains a small, level coastal plain. Many of the most significant geological features may be observed from hiking trails and from the roads used by hikers, the motor tours and other motorists. Catalina is accessible by private and commercial vessels and aircraft and is visited by over 500,000 people per year.

*230 There are 393 species of plant life native to Catalina in addition to 150 species introduced from the mainland. Of the native species, six are endemic to the island (native to that one geographical region only). Of the endemic species, the Catalina Ironwood is the least prevalent. It is found in groves in canyons (primarily on the channel side) from Gallagher’s to Bullrush Canyon, on mountain slopes (including the east slope of Mt. Blackjack) and in Ironwood Gulley on the isthmus.

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Bluebook (online)
126 Cal. App. 3d 221, 178 Cal. Rptr. 708, 1981 Cal. App. LEXIS 2415, Counsel Stack Legal Research, https://law.counselstack.com/opinion/santa-catalina-island-conservancy-v-county-of-los-angeles-calctapp-1981.