181 N.E. 112 | Ohio Ct. App. | 1931
This action was commenced against the treasurer and auditor of Ottawa county to enjoin them from collecting and certifying for collection taxes on a bridge constructed by the plaintiff, and the approaches thereto, extending from Martin's Point in Erie county, on the south side of Sandusky Bay, to a point in Ottawa county, on the north *356 side of the bay; the bridge and approaches being constructed on and over the subaqueous lands of the bay. The taxes involved in this action are assessed for the year 1929 and the first half of the year 1930 on that part of the bridge which is located in Ottawa county. The trial in the court of common pleas resulted in a judgment and decree for the defendants, dismissing the petition and dissolving the injunction.
The bridge is known as the Sandusky Bay Bridge and was constructed under authority of an Act of Congress passed May 5, 1926 (44 Stats. at L., 402), and an act of General Assembly of Ohio designated as Sections 13996-2 to 13996-8, inclusive, General Code, and is a private tollbridge. The statute enacted by the state authorized the plaintiff company, its successors and assigns, to construct, maintain and operate a bridge and the approaches thereto to be used as a highway for public travel across Sandusky Bay, and granted for that purpose a perpetual easement on the land underlying the waters of the bay, and authorized the Sandusky Bay Bridge Company to sell and assign the easement and rights, powers and privileges granted to it.
The property of the plaintiff in the bridge and the approaches thereto located in Ottawa county has been assessed as real estate by the county auditor of said county on a valuation of $500,000, and placed on the tax duplicate for that amount. The plaintiff contends that its property is not in fact real estate, and avers that the body of water known as Sandusky Bay is a navigable body of water, and that the lands underlying the waters thereof are owned by the state of Ohio in trust for the benefit of all of the *357 people of the state. Plaintiff's contention, in fact, is that its property is not physical and corporeal property subject to taxation, but that the bridge structure over the subaqueous lands of Sandusky Bay is only an easement, and, as such, not taxable. The defendants concede that the open waters of Sandusky Bay are connected with Lake Erie and are navigable, and not subject to private ownership, and that the title to the land underlying such waters, including the lands on which the bridge structure is constructed, is owned by the state of Ohio in trust for the benefit of the people of the state. The question at issue between the parties to this litigation is whether that part of the bridge lying in Ottawa county, and built over the subaqueous lands owned by the state, is subject to taxation as real estate or improvements thereon.
Section 5322, General Code, in the chapter on Taxation, defines "real property" as follows: "The terms `real property' and `land' as so used, include not only land itself, whether laid out in town lots or otherwise, with all things contained therein but also, unless otherwise specified, all buildings, structures, improvements, and fixtures of whatever kind thereon, and all rights and privileges belonging, or appertaining thereto."
As long ago as 1876 it was held by the Supreme Court, inCincinnati College v. Yeatman, Aud.,
A similar question came before the Court of Appeals of New York and is reported in Smith v. Mayor of New York,
No doubt can exist that the Constitution of Ohio *359 contemplates that all property physically located within the state shall be taxed unless clearly exempted from taxation by legislative enactment, and General Code, Section 5328, unequivocally carries out that requirement.
The bridge involved in this litigation cost the plaintiff more than $1,000,000. It is not a mere franchise or easement granted by the state, but is physical, corporeal property, classed as real estate and taxable as such, together with the contiguous uplands owned by the plaintiff.
Counsel for the plaintiff rely on the case of Bear MountainHudson River Bridge Co. v. Diamond, Assessor,
This court agrees with the court of common pleas that the Sandusky Bay Bridge, as constructed upon the subaqueous land of the state of Ohio, has a separate existence from said land for the purpose of *361 taxation, and it is immaterial that part of the bridge is constructed over navigable waters; that it is not exempt from taxation and is subject to be assessed for taxation as real property.
For the reasons given a judgment and decree will be rendered for the defendants, dismissing the petition and dissolving the injunction.
Judgment and decree for defendants.
LLOYD and WILLIAMS, JJ., concur.