State Tax Com'n v. Earnest

627 So. 2d 313, 1993 WL 374237
CourtMississippi Supreme Court
DecidedSeptember 23, 1993
Docket92-CC-0726
StatusPublished
Cited by24 cases

This text of 627 So. 2d 313 (State Tax Com'n v. Earnest) is published on Counsel Stack Legal Research, covering Mississippi Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
State Tax Com'n v. Earnest, 627 So. 2d 313, 1993 WL 374237 (Mich. 1993).

Opinion

627 So.2d 313 (1993)

STATE TAX COMMISSION of the State of Mississippi
v.
Walter C. EARNEST, Jr. and Helen J. Earnest.

No. 92-CC-0726.

Supreme Court of Mississippi.

September 23, 1993.
Rehearing Denied December 16, 1993.

*314 Bobby R. Long, Jackson, for appellant.

B.G. Perry, Ronald Louis Taylor, Taylor Jones Alexander Sorrell & McFall, Southaven, B.G. Perry, Southaven, for appellees.

Before DAN M. LEE, P.J., and McRAE and SMITH, JJ.

SMITH, Justice, for the Court:

This is an appeal by the Mississippi State Tax Commission from the decision of the DeSoto County Chancery Court reversing the decision of the Commission in assessing $172,529.46 against Walter C. and Helen J. Earnest for failure to pay personal state income taxes for the years 1980 through 1988.

The Earnests contend that they were residents and domiciliaries of Tennessee for state income tax purposes during the period. It is uncontested that they were residents of Mississippi immediately prior to 1980. It is also clear that the Earnests have maintained a residence in Memphis, Tennessee, since 1980 and that Mr. Earnest owned a business there. Tennessee does not have a personal income tax.

In determining that the Earnests owed taxes for the years 1980 to 1988, the Commission looked at the Earnests' continuing ties to Mississippi. One or both of them exercised the right to vote in Mississippi in 1980, 1983, 1984, 1985, 1987, 1988, and 1989. Neither of them ever registered to vote in Tennessee. The Earnests claimed homestead exemption in Mississippi for the years 1982, 1983 and 1984. The Earnests each had a Mississippi driver's license throughout the period and had vehicles registered in both Mississippi and Tennessee. In 1983 when the Earnests established a Ford dealership in Olive Branch, Mississippi, they represented to Ford that they were residents of Mississippi. Ford would not have granted the Earnests the dealership unless they were Mississippi residents.

The Earnests owned a farm in Chickasaw County, a horse farm in DeSoto County, and a cattle farm in Panola County. Each of these properties had a house where the Earnests could stay. In fact, the Earnests built a new home on Nail Road in Olive Branch in 1981, and this is the property on which they claimed homestead exemption until their tax attorney advised them to stop. During the years in question the Earnests rented an apartment and later leased a house while living in Memphis.

The Commission, in determining that taxes were due, relied on a tax regulation providing that an individual remains a legal resident of Mississippi "until such time as such individual takes positive action to establish legal residence in some other state or country and relinquishes his rights and privileges of residency in Mississippi." The chancellor found that the Commission's decision was arbitrary and capricious and reversed the decision of the Commission except for the period in 1980 prior to the Earnest's moving to Memphis.

On appeal the State Tax Commission raises the following three issues:

1. Whether Walter C. Earnest, Jr. and his wife, Helen J. Earnest maintained their Mississippi domicile during the period 1980 *315 through 1988 for Mississippi income tax purposes.
2. Whether Miss. Code Ann. § 27-7-3(e) (1972) in defining "Resident" for state income tax purposes draws a legal distinction between domicile and legal or actual residence, and if so, whether the taxpayers in this case had a legal or actual residence in the state of Mississippi for the period 1980 through 1988.
3. Whether the lower court properly applied the standard of review for reviewing a decision of the Mississippi State Tax Commission.

Based on the substantial evidence that the Earnests acted inconsistently with establishing legal residence other than in Mississippi, the chancellor was clearly in error. The Earnests took advantage of Mississippi citizenship — voting, driver's license, license plates, property tax exemption — without any corresponding action in Tennessee. A finding that the Commission's decision was arbitrary and capricious cannot be explained or justified. While the lower court or this Court may have reached a different conclusion from the facts, there was no basis for reversal of the Commission considering the standard of review the Chancellor is required to employ. This case will be reversed and the decision of the Commission reinstated and rendered.

FACTS

Walter C. Earnest and Helen J. Earnest were both born and raised in Mississippi. Mr. Earnest was from Chickasaw County on Sandy Lane Road between Egypt and Buena Vista on Chaqatonchee Bottom. Mrs. Earnest was born and raised in the northwest corner of Chickasaw County. In 1953, the day after receiving his high school diploma, Mr. Earnest headed north to Memphis, Tennessee. Mrs. Earnest moved there in 1955. They met, married in 1956, and continued to live in Tennessee. They moved back to Mississippi in 1964 and lived in Southaven until 1980.

Mr. Earnest was in the business of freight consolidation and he and partners started Manufacturer's Consolidation Services in Memphis. Mr. Earnest bought out two of the partners and he and W.C. Shadrock, Jr. continued the business as equal partners. Problems developed between the partners, and as a result, Mr. Earnest felt the need to devote more time to work. Ultimately, Mr. Earnest sold out his interest in the business in 1988.

Partially because of health problems and partially because of business problems, Mr. Earnest made the decision to move to Memphis in 1980. He was no longer able to keep up the house and yard in Southaven. Mr. Earnest had polio when he was sixteen. He had an enlarged heart, high blood pressure, diabetes, gout, phlebitis, kidney problems, back problems and arthritis. Two of the Earnests' three daughters were no longer at home at the time, so the Earnests moved all their furniture and personal effects from Southaven to an apartment they rented in Memphis.

Although Mr. Earnest did not drive much after the mid 1970's, he continued to renew his Mississippi driver's license after he moved to Tennessee. He would travel to Hernando and have his picture made and pay the fee. At the time of the trial he no longer had a Mississippi license. He surrendered his Mississippi license in 1989 when he got a Tennessee license.

Mrs. Earnest first got a Tennessee driver's license in 1985 or 1986. She also kept renewing her Mississippi driver's license and had two licenses. She did not know where her Mississippi license was or if it had expired at the time of the trial.

The Earnests owned several properties in Mississippi. There was a quarterhorse farm at 4134 Nail Road East in Olive Branch, known as the Rocking E Farms. It was on this property that the Earnests built a new home in 1981. The house was a three bedroom, two and one half bath brick structure with around 2,000 square feet. In addition to this house on the property there was also a double-wide trailer where the Earnests' oldest daughter, son-in-law, and three grandchildren lived, a wooden barn 120 feet long, and a 80 by 100 metal barn with an indoor riding arena.

*316 The Earnests apparently spent time on the farm because of the horses and their daughter and her family. Mrs. Earnest testified, "Walter cannot go two days without seeing those grand kids."

Mrs.

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Cite This Page — Counsel Stack

Bluebook (online)
627 So. 2d 313, 1993 WL 374237, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-tax-comn-v-earnest-miss-1993.