Warren Lumber Inc. C/O Warren Millwor and Empire TFI Jersey Holding LLC v. Washington Borough

CourtNew Jersey Tax Court
DecidedFebruary 27, 2019
Docket004276-2013, 002647-2014
StatusUnpublished

This text of Warren Lumber Inc. C/O Warren Millwor and Empire TFI Jersey Holding LLC v. Washington Borough (Warren Lumber Inc. C/O Warren Millwor and Empire TFI Jersey Holding LLC v. Washington Borough) is published on Counsel Stack Legal Research, covering New Jersey Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Warren Lumber Inc. C/O Warren Millwor and Empire TFI Jersey Holding LLC v. Washington Borough, (N.J. Super. Ct. 2019).

Opinion

TAX COURT OF NEW JERSEY

Joshua D. Novin Washington & Court Streets, 1st Floor Judge P.O. Box 910 Morristown, New Jersey 07963 Tel: (609) 815-2922 Ext. 54680 Fax: (973) 656-4305

NOT FOR PUBLICATION WITHOUT THE APPROVAL OF THE TAX COURT COMMITTEE ON OPINIONS

February 26, 2019

Michael I. Schneck, Esq. Schneck Law Group LLC 301 South Livingston Avenue, Suite 105 Livingston, New Jersey 07039

Richard M. Conley, Esq. Richard M. Conley, LLC 122 Main Street P.O. Box 662 Flemington, New Jersey 08822

Re: Warren Lumber Inc. c/o Warren Millwor and Empire TFI Jersey Holding LLC v. Washington Borough Docket Nos. 004276-2013 and 002647-2014

Dear Mr. Schneck and Mr. Conley:

This letter constitutes the court’s opinion following trial of local property tax appeals

filed by plaintiffs, Warren Lumber Inc. c/o Warren Millwor and Empire TFI Jersey Holding LLC

(“plaintiffs”). Plaintiffs challenge the 2013 and 2014 tax year assessments on improved property

located in Washington Borough, Warren County, New Jersey.

For the reasons stated more fully below, the court reduces the 2013 and 2014 tax year

assessments.

I. Procedural History and Findings of Fact

As of each valuation date, plaintiffs were the fee simple owner, or holder of a tax sale

certificate for the real property and improvements located at 256 Belvidere Avenue, Washington Borough, New Jersey. 1 The property is identified on Washington Borough’s municipal tax map

as Block 35, Lot 14 (the “subject property”). For the 2013 and 2014 tax years, the subject

property was assessed as follows:

Land: $ 296,200 Improvement: $1,361,800 Total: $1,658,000

The average ratio of assessed to true value, commonly referred to as the Chapter 123 ratio, for

Washington Borough (the “Borough”) was 78.44% for the 2013 tax year, and 80.85% for the

2014 tax year. See N.J.S.A. 54:1-35a(a). When the average ratio is applied to the local property

tax assessment, the subject property had an implied equalized value of $2,113,717 for the 2013

tax year, and $2,050,711 for the 2014 tax year.

The subject property is an irregularly-shaped, 6.53 acre, or 284,447 square foot lot. The

site is improved with five buildings comprising a total of 68,540 square feet, allotted as follows:

(i) a 2,900 square foot two-story multi-family residential dwelling with an attached one-car

garage (“Building 1”) 2; (ii) a 17,764 square foot warehouse (“Building 2”) 3; (iii) a 11,324 square

foot part-one and part-two story office facility (“Building 3”); (iv) a 22,734 square foot light

industrial/warehouse building with supportive offices (“Building 4”); and (v) a 13,818 square

1 The “holder of a tax sale certificate, who has paid taxes from the time of acquisition of the certificate, is a ‘taxpayer’ under N.J.S.A. 54:3-21 and has standing to prosecute an appeal.” Lato v. Rockaway Twp., 16 N.J. Tax 355, 358 (1997). Contra Northfield City v. Zell, 12 N.J. Tax 180 (Tax 1991). 2 The expert, as such term is later defined, offered testimony that the two-story multi-family residential dwelling is between 2,900 and 3,200 square feet. 3 Contradictory evidence was presented regarding the area of Building 2. Page 1 of the appraisal report states that Building 2 is 17,764 square feet. Page 21 of the appraisal report states that Building 2 is 17,664 square feet. Page 94 of the appraisal report reflects that all buildings, excluding Building 1, comprise 65,640 square feet (17,764 + 11,324 + 22,734 + 13,818 = 65,640). The court concludes that Building 2 comprises 17,764 square feet.

2 foot warehouse (“Building 5”). The subject property formerly housed Warren Lumber &

Millwork, Inc. The property is serviced by public utilities including electric, natural gas, water,

and sewer.

The subject property is located in the Borough’s I - Industrial zoning district, with

permitted uses that include business and professional offices, research laboratories, select

industrial and manufacturing uses, coal and lumber yards, and other commercial uses permitted

in the B-1, Highway Business, and B-2, Central Business, zoning districts. According to the

expert (as defined herein), the subject property is a legal, non-conforming use, because

residential dwellings are not permitted in the I - Industrial zoning district.

Aerial and surface photographs show that in the subject property’s vicinity, Belvidere

Avenue is a rural two lane roadway lined with residential dwellings. Building 1 fronts on, and is

set back approximately 10 feet from Belvidere Avenue. Building 2 is constructed on an angle in

the rear of, and partially beside Building 1. At certain points, Building 1 and Building 2 are

located approximately 8-10 feet from one another. Building 3, is located along the subject

property’s northerly lot line, approximately 30 feet from Building 2, and set back approximately

50 feet from Belvidere Avenue. The remaining two buildings, Building 4 and Building 5, are

located along the subject property’s rear easterly property line, behind Building 2 and Building 3.

The subject property’s rear easterly property line abuts a Conrail – Erie Lackawanna railway line

extension, which railway line seemingly ends at the subject property. On the other side of the

railway line extension are a series of commercial buildings which, in turn, border Route 31.

In or about September 2010, U.S. Bank, as custodian for Empire Tax Fund 1, LLC,

purchased Tax Sale Certificate #10-00017 from the Borough (the “Tax Sale Certificate”). On or

about November 7, 2013, the Tax Sale Certificate was assigned to plaintiff, Empire TFI Jersey

3 Holdings, LLC. 4 Empire TFI Jersey Holdings, LLC subsequently filed an action to foreclose

Warren Lumber & Millwork, Inc.’s right of redemption under the Tax Sale Certificate. On

December 18, 2013, Final Judgment was entered by the Superior Court of New Jersey,

foreclosing Warren Lumber & Millwork, Inc.’s right and equity of redemption in and to the

subject property. 5

According to the expert, in or about January 2014, the subject property was listed for sale

or lease with a real estate agent. On or about November 17, 2015, Empire TFI Jersey Holdings

LLC sold the subject property to Falcon Group Investment LLC for consideration of $800,000.

In the expert’s opinion, the sale of the subject property to Falcon Group Investment LLC was an

arms-length transaction.

During trial, plaintiffs offered testimony from a State of New Jersey certified general

real estate appraiser who, after voir dire, was accepted by the court as an expert in the property

valuation field (the “expert”). The expert prepared an appraisal report expressing an opinion of

the true market value of the subject property as of the October 1, 2012 and October 1, 2013

valuation dates. The expert offered his opinion that the subject property had a true market value

as follows:

Valuation date Expert’s opinion October 1, 2012 $799,600 October 1, 2013 $799,600

4 The 2014 local property tax complaint identifies the plaintiff as Empire TFI Jersey Holding LLC. 5 The Final Judgment also named Jay L. Lubetkin, Esq., Assignee of Warren Lumber & Millwork, Inc., the New Jersey Economic Development Authority, PNC Bank, National Association, the Ad Hoc Committee of Unsecured Creditors of Warren Lumber & Millwork, Inc., and the State of New Jersey.

4 The Borough did not produce an appraiser during trial and offered no evidence of the

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Warren Lumber Inc. C/O Warren Millwor and Empire TFI Jersey Holding LLC v. Washington Borough, Counsel Stack Legal Research, https://law.counselstack.com/opinion/warren-lumber-inc-co-warren-millwor-and-empire-tfi-jersey-holding-llc-v-njtaxct-2019.