553 P.2d 351 | Or. | 1976
This is an appeal by plaintiff taxpayer from a decision of the Oregon Tax Court rejecting plaintiffs claim for a refund of yield taxes on forest crops for the 1973 tax year.
The Tax Court correctly states the question at issue as follows: "The main question presented is whether the statutory language of ORS 321.310(2),
The Department of Revenue has the power to make rules and regulations.
Plaintiff contends that defendant in fact did adopt a new rule without reducing it to writing and without following the hearing procedure required by ORS 183.330 et seq. This "new rule,” plaintiff argues, consisted of the adoption of a new method of valuation of timber crops for purposes of assessing the yield tax. To understand plaintiff’s contention, it is necessary to explain the methods of appraisal employed by defendant.
As with other property subject to tax, the final objective of the appraisal is to find the market value. In making assessments under the ad valorem real property tax, three methods have become accepted: (1) comparable sales, (2) capitalization of income, and (3) the cost approach. Which of these is used depends upon the character of the property and the availability of data necessary to apply the respective methods. If there is adequate data of comparable sales, that method is used because it more directly and accurately reflects what a willing buyer would pay a willing seller for the property subject to tax, thus reflecting the market value. If the data on comparable sales is inadequate, the capitalization method must be used unless the property is not income producing, in which case the cost approach is employed.
A similar process is involved in the valuation of timber for yield tax purposes, but there are differences attributable to peculiarities in the market for timber and logs. Three methods are used by defendant’s tax appraisers: (1) comparable sales, (2) conversion return, and (3) immediate harvest value. The first of these methods is readily understood, calling for the comparison of sales of similar types of timber at the valuation date, making allowances for differences in logging costs, distances to the market, and other facts. The other two methods are not very clearly explained,
The immediate harvest value method as used by the yield tax section consists of relying upon data on log prices and other sales data gathered by the Department of Revenue for the purpose of supplying assessment data for the ad valorem tax.
It appears from the testimony of the department’s appraiser that until 1972 the conversion return method was the principal method employed in the valuation of timber for yield tax purposes. The department then began putting greater reliance on the comparable sales method. Mr. Baker explained why this was done:
"A Because at one time they felt as though in — in picking up log prices the conversion return did not lead to a proper sale — the actual sale value of the timber. That it was something less than the sale value of the timber. We could not find substantial log prices to — high enough in conversion return to — to—to get to the sale value of the timber. Therefore we had to go to sales to substantiate or to back up our appraisals to come to sale value of timber, open market value of timber.”
"A Because it’s difficult to get the — the actual value of the log in going to various mills.
* * * *
"Q * * * [S]o what you’re talking about when you’re talking about conversion return, you’re starting with a value that has already — timber that has been sold — * * * in the past?
"A Yes.
"Q * * * Rather than what they’re paying at the present?
"A That’s true, yes.
"Q Is that why there tends to be a lag?
"A Tend to be a terrific lag at this particular time because the values changed drastically from, say, January 1 of ’73 until March, April. May of ’73, the values just skyrocketed. I mean — by 'values,’ I mean log prices, stumpage rates and the like skyrocketed * *
However, the comparable sales approach did not constitute the sole method of assessment; the testimony was that it was "incorporated” into the department’s other methods of appraisal in order to sharpen the accuracy of the appraisal by "backing up” the conversion return method. In some cases the conversion return method is employed without the use of the comparable sales method.
The judgment of the Tax Court is affirmed.
Swenson v. Dept. of Rev., 6 OTR 234 (1975).
ORS 321.310(2) provides in part as follows:
"* * * The retail market value per unit of measurement of a particular grade and species of timber upon a tract shall be determined by a method which makes reasonable allowance for species, quality, growing conditions, age, volume after allowance for defect and breakage, costs of removal, accessibility to point of conversion, topography, costs of conversion into logs, and any other relevant factors.” (Emphasis added.)
ORS 321.340(1) (1971 Replacement Part) provides: "The department shall * * * make orders, rules and regulations necessary to carry out and accomplish the purposes of ORS 321.255 to 321.355.”
In Starker v. Department of Revenue, 6 OTR 10,12 (1975), the method is described as follows:
"As to merchantable timber, timely 'comparable sales’ were available and used but since every logging show involves variable conditions, the log market conversion return was utilized by the trained appraiser as a method of valuing stumpage. Judgment must be exercised as to the reliability of available price data on logs in the pond and the costs of getting the logs to the pond; i.e., the price paid for falling, limbing, bucking, yarding, loading, scaling and hauling. These figures must then be adjusted in accordance with the appraiser’s judgment to variables in the subject timber, including its size and density, the topography of the site, its accessibility, roads, and distance from market. All of these considerations involve the exercise of skilled judgment.”
Mr. Baker testified:
"Q After looking at these various methods of determining value, do you sometimes select one as the hest indicator of value?
"A It depends on the information that I pick up. If the sale is three or four months or five or six months apart, I don’t even use the sale possibly. If I think I have good sound concrete log prices to go on and no other sale data to go on, I’ll have to stay with the — with the conversion return.
sk * ¡k *
"Q When after reviewing the three methods of value that you said that you used, the sales method, * * * the conversion return method or the I.H. V. indicator of value, do you sometimes select one of those as the best indicator of value.
"A Yes, sir, I do.”