State of Nevada, Department of Insurance v. Humana Health Insurance of Nevada, Inc.

914 P.2d 627, 112 Nev. 356, 1996 Nev. LEXIS 52
CourtNevada Supreme Court
DecidedApril 12, 1996
DocketNo. 25391
StatusPublished

This text of 914 P.2d 627 (State of Nevada, Department of Insurance v. Humana Health Insurance of Nevada, Inc.) is published on Counsel Stack Legal Research, covering Nevada Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State of Nevada, Department of Insurance v. Humana Health Insurance of Nevada, Inc., 914 P.2d 627, 112 Nev. 356, 1996 Nev. LEXIS 52 (Neb. 1996).

Opinion

[357]*357OPINION

Per Curiam:

Humana Health Insurance of Nevada, Inc. (Humana-Nevada) filed tax returns for the 1988, 1989, and 1990 tax years. The returns claimed the home office tax credit allowed to insurers under NRS 680B.050. After disallowing as untimely Humana-Nevada’s 1988 request for the credit, the Department of Insurance (DOI) commenced an examination of insurers claiming the home office tax credit, including Humana-Nevada. The DOI determined Humana-Nevada did not function as a home office and ordered Humana-Nevada to pay the delinquent amount of taxes it had claimed in the credit for the 1989 and 1990 tax years. The DOI appeals officer affirmed this decision. On appeal to the district court, the appeals officer was reversed. The district court concluded the DOI had acted improperly in developing home office determination criteria for the 1991 examination of Humana-Nevada. The DOI appealed. We now decide the district court’s conclusion regarding the DOI’s home office criteria was erroneous and reverse its order.

FACTS

The action in the instant case stems from a tax dispute between the DOI and Humana-Nevada over Humana-Nevada’s claim for the home office tax credit for the 1988, 1989, and 1990 tax years. The home office tax credit is found in NRS 680B.050. Humana-Nevada is a licensed domestic health insurer conducting business as a preferred provider group organization for Nevada. Humana-Nevada’s only office is located in Las Vej*as, Nevada. However, Humana-Nevada is a member of a large group of medical care and hospital business operations. The ultimate parent of this group of medical benefits providers is Humana, Inc., which is based in Louisville, Kentucky.

By establishing a home office in Nevada, an insurer is entitled to a substantial credit against its taxes. NRS 680B.050(4) pro[358]*358vides that an insurer is not entitled to the home office tax credit unless “[t]he insurer owned the property upon which the reduction is based for the entire year for which the reduction is claimed” and “[t]he insurer occupied, at least 70 percent of the usable space in the building to transact insurance . . . NRS 680B.050 provides no other criteria for home office determination. These are also the only requirements listed on the DOI’s tax form provided to insurers for use in claiming the home office tax credit.

Humana-Nevada did not initially claim the home office tax credit on its return for the 1988 tax year. However, within the time allowed by NRS 680B.050(3), Humana-Nevada filed an amended return, including calculation of the home office tax credit. On December 15, 1989, the DOI commissioner wrote Humana-Nevada denying its request on the ground that Humana-Nevada had not met the deadline for amended returns required by NRS 680B.050(3) and concluding that no statutory provision existed which allowed for the filing of an amended return after the statutory date. After requesting the credit for a second time and receiving a second denial, Humana-Nevada sought a hearing on the denial. DOI refused Humana-Nevada’s request for a hearing in a written decision designated Cause No. 90.109. Humana-Nevada next sought judicial review of the DOI’s decision. On May 8, 1991, the district court remanded the matter to the DOI for a hearing or findings on Humana-Nevada’s request.

In 1991, the DOI commissioner ordered an examination of insurance companies that claimed the home office tax credit in NRS 680B.050. The DOI looked to the industry standard for home office criteria. A home office is generally understood in the industry as the place where an insurance company maintains its chief executive and general supervisory departments. Therefore the criteria the DOI used in determining whether or not the insurer had properly claimed the home office exemption included whether it performed functions consisting of underwriting, premium accounting, payroll, and actuarial and administrative functions in its Las Vegas office. These criteria were circulated within the DOI and used as questions in the DOI’s investigation of insurance companies claiming this credit.

Humana-Nevada’s review was completed on July 1, 1991. The review indicated that Humana-Nevada had owned the building for the entire year the reduction was claimed. However, the report indicated that the only functions performed at the Las Vegas office were marketing and support services to health care providers, plan members, and group policyholders. Remaining corporate functions were performed outside of the Las Vegas office. The report also noted that the top level employee in the Las Vegas [359]*359office, the executive director, reported directly to and was subordinate to one of the corporate vice presidents in Louisville, Kentucky.

Humana-Nevada’s office in Las Vegas also served as an office for two of Humana’s subsidiaries licensed to do business in the State of Nevada. Humana-Nevada’s office listed twenty-nine employees. However, payroll checks were issued by Humana, Inc. and drawn on a bank account in Kentucky which was not owned by Humana-Nevada. Job description sheets and vacancy announcements found in Humana-Nevada’s files were labeled “Humana Health Care Plans.” Payroll was issued through Louisville as part of a management service agreement with Group Health Insurance, Inc., a wholly owned subsidiary of Humana, Inc. The services to be performed by Group Health Insurance were marketing, internal auditing, budgeting and business planning, systems and development, regulatory agency filings, medical claims processing, payment of payroll, and allocation of consolidated federal income tax.

The DOI report concluded that the operations of Humana-Nevada were much more like that of a branch office of Humana than of a home office, as that term is generally understood in the industry. The DOI concluded that the Kentucky office was the seat of power and the place where the direction of Humana-Nevada’s operation was controlled and monitored.

After completing the examination in 1991, the DOI filed a complaint against Humana-Nevada, retroactively challenging its entitlement to the home office tax credit for the 1989 and 1990 tax years. The DOI’s challenge to Humana-Nevada’s home office tax credit on its 1989 and 1990 returns was designated Cause No. 91.074. The DOI commissioner ordered Cause No. 90.109, the challenge of the denial for the 1988 tax return, to be consolidated with Cause No. 91.074. The DOI commissioner appointed an appeals officer to hear the case.

The appeals officer found for the DOI, ordering Humana-Nevada to pay the deficiency assessment for the home office tax credit improperly taken for the 1988, 1989, and 1990 tax years. Additionally, the appeals officer denied Humana-Nevada’s request for a refund of the home office tax credit for the 1988 tax year.

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Bluebook (online)
914 P.2d 627, 112 Nev. 356, 1996 Nev. LEXIS 52, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-of-nevada-department-of-insurance-v-humana-health-insurance-of-nev-1996.