Timothy Soignet in his official capacity as Sheriff v. Louisiana Tax Commission

CourtLouisiana Court of Appeal
DecidedJune 18, 2026
Docket2026 CA 0048
StatusUnknown

This text of Timothy Soignet in his official capacity as Sheriff v. Louisiana Tax Commission (Timothy Soignet in his official capacity as Sheriff v. Louisiana Tax Commission) is published on Counsel Stack Legal Research, covering Louisiana Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Timothy Soignet in his official capacity as Sheriff v. Louisiana Tax Commission, (La. Ct. App. 2026).

Opinion

STATE OF LOUISIANA

COURT OF APPEAL

FIRST CIRCUIT

2026 CA 0048

TIMOTHY SOIGNE T IN HIS OFFICIAL CAPACITY AS SHERIFF AND EX OFFICIO TAX COLLECTOR OF TERREBONNE PARISH 7 I /-

VERSUS

LOUISIANA TAX COMMISSION, CRAIG ROUSSEL IN HIS OFFICIAL CAPACITY AS CHAIRMAN OF THE LOUISIANA TAX COMMISSION, LONEY GRABERT IN HIS OFFICIAL CAPACITY AS TAX ASSESSOR OF TERREBONNE PARISH AND BLAKE INTERNATIONAL RIGS LLC Judgment Rendered:_ JUN 18 2026

On Appeal from the Board of Tax Appeals State of Louisiana BTA Docket Number L02449

Honorable Francis J. " Jay" Lobrano, Chairman and Local Tax Judge Presiding Honorable Lisa Woodruff -White (Ret.), Local Tax Judge Pro Tempore Presiding

William F. Dodd Counsel for Plaintiff/Appellant, W. Seth Dodd Sheriff Timothy Soignet, in his Houma, Louisiana Official Capacity as Sheriff and Tax Collector of Terrebonne Parish

Matthew A. Sherman Counsel for Defendant/Appellee, George A. Mueller Blake International Rigs, LLC Patrick R. Follette Nicholas R. Varisco Metairie, Louisiana

Franklin " Drew" Hoffman Counsel for Defendants, Scott G. Wheat, Jr. Louisiana Tax Commission; and Baton Rouge, Louisiana Craig Roussel, in his Official Capacity as Chairman of the Louisiana Tax Commission

Brian A. Eddington Counsel for Defendant, Baton Rouge, Louisiana Loney Grabert, in his Official Capacity as Assessor of Terrebonne Parish

BEFORE: THERIOT, BALFOUR, AND HAGGERTY,' JJ.

1 Honorable Bryan D. Haggerty is serving pro tempore by special appointment of the Louisiana Supreme Court. HAGGERTY, J.

Timothy Soignet, in his Official Capacity as Sheriff and Ex Officio Tax

Collector of Terrebonne Parish, appeals a judgment rendered on August 7, 2025,

sustaining an exception of no right of action filed by Blake International Rigs, LLC

and dismissing his suit filed with the Board of Tax Appeals (" BTA"). After review,

we affirm the portion of the judgment that sustained Blake International' s exception

of no right of action and dismissed Sheriff Soignet' s claims against Blake

International. We reverse the portion of the judgment that dismissed Sheriff

Soignet' s claims against Terrebonne Parish Assessor, Loney Grabert; the Louisiana

Tax Commission; and Craig Roussel, in his Official Capacity as Chairman of the

Louisiana Tax Commission, as the claims against these defendants remain pending.

From 2009 to 2018, Blake International owned drilling rigs and associated

equipment, which Assessor Grabert assessed for ad valorem tax purposes.

In accordance with the assessment, Sherrif Soignet, as tax collector for Terrebonne

Parish, levied ad valorem taxes on Blake International' s property and issued tax bills

to the company. Blake International paid the taxes owed each year and did not pay

under protest ( La. R.S. 47: 2134) or raise any claim of exemption from taxation at

the time of payment.

In April 2020, Blake International filed claims for refund of taxes pursuant to

La. R.S. 47:2132, seeking a refund of ad valorem taxes paid for tax years 2010

through 2018. Upon receiving the request, the tax commission solicited and received

Assessor Grabert' s advice concerning the request as required by La. R.S.

N 47: 2132( A)( 1). 2 Assessor Grabert determined that some but not all of Blake

International' s assessed property was eligible for exemption; however, only the

claims for refund for tax years 2017 and 2018 were timely. The tax commission

subsequently granted Blake International' s refund claims for tax years 2017 and 2018 but denied the requests for the remaining years as untimely pursuant to

La. R.S. 47: 2132( A)( 1). Blake International did not appeal the denial of its claims

for refund. See La. R.S. 47: 2132( D).

In November 2022, Blake International re -filed claims for refund for tax years

2010 through 2016. Assessor Grabert reminded the tax commission that it

previously rejected Blake International' s claims for refund for these tax years as untimely. It appears the tax commission took no action on Blake International' s

November 2022 claims for refund.3

Undeterred, Blake International filed a third set of claims for refund in May

2024, this time seeking a refund for taxes paid from 2009 through 2016. The tax

commission again solicited Assessor Grabert' s advice, who took "no position on the

question of whether refunds are owed to Blake International for the taxes levied"

2 Prior to its amendment, effective January 1, 2026, La. R.S. 47: 2132(A)( 1), pertinently stated:

A]ny person who has a claim against a political subdivision for ad valorem taxes erroneously paid into the funds of that political subdivision may present the claim to the Louisiana Tax Commission within three years of the date of the payment, in such form and together with such proof as the tax commission may require by its rules and regulations[.] The tax commission shall consult with the assessor of the parish in which the property which is the subject of the claim is located, and after that assessor advises the tax commission that a refund is due the claimant, the tax commission shall duly examine the merits and correctness of each claim presented to it and shall make a determination thereon within thirty days after receipt of the claim.

The 2026 amendment to La. R.S. 47: 2132 changed some terms ( e. g., " ad valorem taxes" was changed to " statutory impositions"), but no substantive changes were made. 3 The exhibits introduced into evidence in support of the exception of no right of action include a Consent Judgment" signed on January 21, 2022 by a judge in the 32nd Judicial District Court, which states that the motion for summary judgment filed by Blake International was granted and that, with the exception of a single rig, all of the rigs and property listed on the assessment for tax years 2009 through 2016 were exempt from ad valorem taxation and no such taxes should have been due or payable for those years. The parties do not discuss or explain the effect of this judgment.

E from 2009 through 2016. The tax commission approved Blake International' s May

2024 claims for refund for all requested tax years.

On June 26, 2024, the tax commission issued an order to Sheriff Soignet

stating that, pursuant to La. R.S. 47:2132( B), 4 the tax collector was authorized and directed to correct the assessment for tax years 2009 through 2016 and was further

authorized and directed to process a refund/repayment in the amount of $765, 963. 75

to Blake International.

It appears this was not done; instead, Sheriff Soignet filed a petition with the

BTA in March 2025, challenging the tax commission' s June 26, 2024 order. Sheriff

Soignet named Blake International; the tax commission and its chairman, Craig

Roussel; and Assessor Grabert as defendants. Sheriff Soignet sought judgment

vacating the June 26, 2024 order and staying/ suspending its enforcement until entry

of a final judgment. Sheriff Soignet also sought judgment declaring:

the June 26, 2024 order exceeded the tax commission' s authority and is an absolute nullity; the tax commission exceeded its authority under La. R.S.

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