Simpson Timber Co. v. State Tax Commission

443 P.2d 162, 250 Or. 434, 1968 Ore. LEXIS 573
CourtOregon Supreme Court
DecidedJuly 3, 1968
StatusPublished
Cited by7 cases

This text of 443 P.2d 162 (Simpson Timber Co. v. State Tax Commission) is published on Counsel Stack Legal Research, covering Oregon Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Simpson Timber Co. v. State Tax Commission, 443 P.2d 162, 250 Or. 434, 1968 Ore. LEXIS 573 (Or. 1968).

Opinions

McAllister, j.

The plaintiff, Simpson Timber Company, appeals from a declaratory judgment of the Oregon Tax Court requiring it to pay additional corporate excise taxes. The following statement of the rather complicated background is taken largely from the opinion of the Oregon Tax Court. 2 OTR 509 (1967).

[436]*436- M & M Woodworking Company, an Oregon corporation, paid under protest to Multnomah county certain personal property assessments during its corporate excise tax periods which ended on February 28, 1955, March 3, 1956, and August 17, 1956. Those personal property taxes were used by M & M as an offset in computing its corporate excise taxes in accordance with ORS 317.085, then in effect.

The validity of the protested personal property taxes was then litigated and substantial refunds were received in 1959 for the tax period ending August 17, 1956, and in 1962 for the tax periods ending February 28,1955, and March 3, 1956. The 1959 refund was made in compliance with the decision of this court in M & M Woodworking Co. v. Tax Com., 217 Or 161, 180, 314 P2d 272, 275, 317 P2d 920, 925, 339 P2d 718 (1959).

On or about August 17, 1956, Simpson Redwood Company purchased the capital stock and assets of M & M, which was dissolved on May 1, 1957. As a part of the transaction Simpson Redwood assumed all liabilities of M & M existing on the closing date, “whether current, fixed, contingent or other.”

On February 18, 1963, after the personal property tax refunds had been-received, the defendant, State Tax Commission, informed Simpson Redwood that it owed additional corporate excise taxes because of the refund of the personal property taxes which had previously been used by M &■ M as an offset in computing its corporate excise taxes. The additional taxes claimed amounted to $444.65 for the period ending February 28, 1955, $20,825.43 for the period ending March 3, 1956, and $48,269.41 for the period ending August 17, 1956.

On May 6,1963, the plaintiff, Simpson Timber Com[437]*437pany, absorbed its wholly-owned subsidiary, Simpson Redwood.

The commission did not issue notices of deficiency assessments, but instead advised Simpson Timber that it intended to issue warrants (ORS 314.430), for the collection of the additional excise taxes. The commission refrained from issuing warrants only because plaintiff filed a bond satisfactory to the coimnission promising to bring a proceeding in a court of competent jurisdiction and procure a judgment declaring the rights of the parties. This proceeding was instituted pursuant to the bond.

Plaintiff contends that the commission is prevented from collecting the additional excise taxes by the three-year statute of limitations contained in ORS 314.410. M &> M filed the returns involved in this proceeding in 1955, 1956 and 1957, and it is conceded that if the statute of limitations is applicable, the time allowed the commission to give notice of a proposed deficiency has expired, and that no notice of a proposed assessment has been given. We hold that the statute of limitations is controlling, and reverse.

Since the case turns on the construction of the 1959 amendments to ORS 314.405 and ORS 314.410, we will briefly review the history of those statutes.

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Cite This Page — Counsel Stack

Bluebook (online)
443 P.2d 162, 250 Or. 434, 1968 Ore. LEXIS 573, Counsel Stack Legal Research, https://law.counselstack.com/opinion/simpson-timber-co-v-state-tax-commission-or-1968.