Warnquist v. State Tax Assessor

Superior Court of Maine·Decided March 7, 2018·No. YORap-16-0039·Unpublished

Opinion

STATE OF MAINE SUPERIOR COURT YORK, ss. Civil Action DOCKET NO. AP-16-0039

ERIC V. WARN QUIST, ) ) and, ) ) ORDER ON RESPONDENT'S ROSAMOND C. W ARNQUIST, ) MOTION FOR SUMMARY ) JUDGMENT Petitioners, ) ) V. ) ) STATE TAX ASSESSOR, ) ) Respondent. )

I. BACKGROUND

This case is a Rule 80C action brought by petitioners Eric and Rosamond Warnquist,

seeking review of the Tax Assessor' s determination that they were not entitled to the full Section

5217-A credit requested on their 2012 and 2013 tax returns. See 36 M.R.S.A. § 5217-A (2010).

Petitioners also seek to avoid paying penalties and interest if the court finds that the credit was

properly adjusted.

The facts presented to the court are relatively straight forward and generally agreed upon.

Petitioners are Maine residents who earned income from two rental properties they owned in the

county ofRogaland of the country ofNorway (the "Properties"). (Resp. 's S.M.F. 111-2.) The first

property was a single-family house located at 34 Bogenessvein ("Property 1"). (Resp.'s S.M.F. 1

4.) The second property was an industrial complex located at Jattaflatten 10 ("Property 2").

(Resp.'s S.M.F. 115-6.)

1 Petitioners earned rental income from the Properties in both 2012 and 2013. (Resp.' s

S.M.F. 1 9.) Additionally, Property 1 was taken by expropriation, the Norwegian equivalent of

eminent domain, by the City of Stavanger in 2013. (Resp.'s S.M.F. 17.)

Petitioners paid income tax to Rogaland Norway on both the rental and expropriation

income from the Properties. (Resp.'s S.M.F. 19.) In 2012, Petitioners paid $208,860 in income

tax to Rogaland. (Resp.'s S.M.F. 1 10.) In 2013, Petitioners paid $238,374 in income tax to

Rogaland. (Resp.'s S.M.F. 1 11.) Rogaland taxed Petitioners on their gross income and did not

allow Petitioners any deductions. (Resp.'s S.M.F. 148.)

On their federal tax returns for these years, Petitioners reported the rental income from the

Properties and deducted certain expenses. (Resp.'s S.M.F. 112.)

a. Petitioners' 2012 Taxes

In 2012, Petitioners reported $8,339.12 m mcome from Property 1 and deducted

$59,052.72 in expenses. (Resp.'s S.M.F. 1 13.) For Property 2, Petitioners reported rental income

of$1,099,262.68 and deducted $106,627 in expenses. (Resp.'s S.M.F. 114.) Including income and

expenses from two other properties unrelated to the instant matter, Petitioners reported their

Schedule E income as $948,262.35. (Resp.'s S.M.F. 1 15.) Petitioners reported their federal

adjusted gross income, which includes income from interest, dividends, and pensions/annuities,

totaled $1,026,451.98 in 2012. 1 (Resp.'s S.M.F. 118.) Petitioners then reported their income tax

as $306,374.32 and claimed a foreign tax credit in the same amount for taxes paid to Rogaland.

(Resp.'s S.M.F. 1119-19A.)

On their 2012 Maine tax return, Petitioners reported a federal adjusted gross income of

$1,026,452. (Resp.'s S.M.F. 121.) Petitioners then reported their Maine adjusted gross income as

1 This number was mistakenly reported on Petitioners' 2012 tax return due to a transcription error. The correct amount should have been $1,025,738.38. (Resp.'s S.M.F. ,r 16.)

2 $1,037,381. (Resp.'s S.M.F. ,r 22.) Petitioners claimed a standard deduction in the amount of

$12,850 and accordingly reported their total Maine tax as $85,429 in 2012. (Resp. 's S.M.F. ,r,r 23­

24.)

Petitioners claimed a tax credit pursuant to Section 5217-A for income tax paid to Rogaland

in the total amount of their taxes owed, $85,429. (Resp.'s S.M.F. ,r 25.) The Worksheet for Credit

for Income Tax Paid to Other Jurisdiction ("Worksheet") used to calculate this credit instructs

taxpayers to compare their Maine adjusted gross income stated in line 1 with income sourced to

and taxed by another jurisdiction "included in line 1" in line 2. (Resp.'s S.M.F. ,r 27.) The

Worksheet further provided, "The income considered taxed by the other jurisdiction is income,

after deductions, that is analogous to Maine adjusted gross income (federal adjusted gross income

plus or minus income modifications)." (Resp.'s S.M.F. ,r 26.) Specifically, taxpayers are directed

to calculate the percentage of other income taxed by foreign jurisdictions by dividing the income

sourced to other jurisdictions by their total Maine adjusted gross income. (Worksheet for Credit

for Income Tax Paid to Other Jurisdiction (the "Worksheet"), Pet. Ex. 2 at 1.) Taxpayers are

entitled to credit of the lesser of either the multiplication of this percentage and their total taxes or

the taxes paid to the other jurisdiction on the income subject to Maine tax. See M.R.S.A. § 5217­

A.

b. Petitioners' 2013 Taxes

In the year 2013, Petitioners similarly reported rental income and expenses from the

Properties on their federal returns. (Resp.'s S.M.F. ,r 29.) Petitioners reported $4,122.49 in income

from Property 1 and deducted $33,614.01 in expenses. (Resp. 's S.M.F. ,r 30.) For Property 2,

Petitioners reported rental income of $381,190.24 and deducted $118,684.97 in expenses. (Resp.' s

S .M.F. ,r 31.) Including income and expenses from the two other unrelated properties, Petitioners

3 reported their Schedule E income as $229,498.70. (Resp. 's S.M.F., 32.) Petitioners also reported

the income from the expropriation of Property 1 as a capital gain in the amount of $683,148.32.

(Resp.'s S.M.F., 33.) Including an unrelated capital gain, Petitioners reported a total Schedule D

income of $691,716.56. (Resp.'s S.M.F., 34.)

Petitioners reported their federal adjusted gross income, which includes both the Schedule

D and Schedule E incomes as well as income from interest, dividends, and pensions/annuities, as

$990,317.85 in 2013. (Resp. 's S.M.F. , 37.) Petitioners then reported their income tax as

$306,324.57 and claimed a foreign tax credit in the same amount for taxes paid to Rogaland.

(Resp.'s S.M.F. ,, 36-36A.)

On their 2013 Maine tax return, Petitioners reported a federal adjusted gross income of

$990,318. (Resp.'s S.M.F., 38.) Petitioners then reported their Maine adjusted gross income as

$993,366. (Resp.'s S.M.F., 39.) Accordingly, Petitioners reported their total Maine tax as $76,784

in 2013. (Resp.'s S.M.F., 40.)

Again, Petitioners claimed a tax credit pursuant to Section 5217-A for income tax paid to

Rogaland in the total amount of their taxes owed, $76,784. (Resp.'s S.M.F. , 41.) Although

slightly re-formatted, the Worksheet's instructions remained the same as in 2012. (Resp.'s S.M.F.

~, 42-43.)

c. Adjustment of Petitioners' Taxes and Subsequent Review

In 2014, Maine Revenue Services ("MRS") audited Petitioners' 2012 and 2013 federal and

Maine income tax returns. (Resp.'s S.M.F., 45.) MRS first found that Petitioners had used the

incorrect standard deduction on their 2012 Maine tax return, and accordingly increased it from

$12,850 to $13,050. (Resp.'s S.M.F., 46.)

4 Next and most importantly to the instant case, MRS determined that Petitioners had

miscalculated their 5217-A credit on both their 2012 and 2013 Maine tax returns by overstating

the income that was taxed in both Maine and Rogaland. (Resp.'s S.M.F. ,r 47.) Specifically, while

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