Tax Type
Corporation Income Tax
Description
Assessments, Court Case, County of Louisa vs Virginia Electric and Power Appellees Company, et al.,
Topic
Court Case
Date Issued
04-28-1995
VIRGINIA:
County of Louisa, Appellant
against Record No. 941859
S.C.C. Case No. PST910005
Virginia Electric and Power Appellees Company, et al.,
Upon an appeal of right from an order entered by the State Corporation Commission on the 5th day of July 1994
Upon consideration of the record, briefs, and argument of counsel in this appeal of right from an order of the State Corporation Commission, the Court is of opinion that there is no error in the judgment appealed from.The County of Louisa filed an application for review and correction of assessments for taxation of the value of certain public service company real property in the County for the 1991 tax year. The County argued before the Commission that the local assessment ratio, which was determined by the Virginia Department of Taxation as required by Code §58.1-2604(A), is incorrect. The County requested that the Commission order the Department of Taxation to publish a "new local assessment ratio." Alternatively, the County sought a declaration that Code §58.1-2604 is unconstitutional because, the County says, this statute permits the assessment of real property at a rate less than fair market value. The commission disagreed with the county and entered an order dismissing the County's application. The County, which has standing to challenge this statute, assigns error to the Commission's order.
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- Code §58.1-2604(A) states in relevant part:
Except as otherwise provided . . . any increase in the assessed valuation of any public service corporation property in any taxing district shall be made by application of the local assessment ratio prevailing in such taxing district for other real estate as most recently determined and published by the Department of Taxation
- Code §58.1-2604(A) states in relevant part:
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- 1. All taxes shall be levied and collected under general laws and shall be uniform upon the same class of subjects within the territorial limits of the authority levying the tax.
2. All assessments of real estate and tangible personal property shall be at their fair market value, to be ascertained as prescribed by law. Code § 58.1-2604(A) does not contravene these constitutional requirements of uniformity and fair market value.
Code §58.1-2604 merely reflects the General Assembly's intent to achieve uniformity of assessments upon real property owned by public service corporations. And, as we have repeatedly held, "when it is impossible to achieve both fair market value and uniformity, the preferred standard is uniformity." Bd. of Sup. v. Telecommunications Industries, 246 Va. 472, 477, 436 S.E.2d 442, 445 (1993); Fairfax Co. v. Leasco, 221 Va. 158, 166, 267 S.E.2d 608, 613 (1980).
- 1. All taxes shall be levied and collected under general laws and shall be uniform upon the same class of subjects within the territorial limits of the authority levying the tax.
A Copy,
Teste:
Clerk
Rulings of the Tax Commissioner