State v. Northwest Airlines
State v. Northwest Airlines
Opinion of the Court
Northwest Airlines, Inc. (Northwest), brought this action in district court claiming that for the 1971 assessment year it was entitled to a personal property tax exemption under Minn.St. 272.02, subd. l(ll)(b), for all of its ground support personal property at three locations in Hennepin County. After a bench trial the district court held that the exemption applied to only a part of the personal property in question and entered judgment for the state. We affirm.
The property in question is Northwest’s ground support property at its Southdale Mall and North Star Center ticket offices and at Wold Chamberlain Field. The prop
During 1971, the assessment year in question, Minn.St.1969, § 272.02, subd. l(ll)(b), allowed Northwest to elect for its ground support personal property an exemption as to either (a) “inventories” or (b) “[tjools and machinery * * * used or useable * * * in the manufacture, processing, production, sale or distribution of marketable products.” For its property at Wold Chamberlain Field, Northwest decided to claim the “tools and machinery” exemption, which as applied to Northwest’s business would exempt “tools and machinery * * * used or useable * * * in the * * * distribution of marketable products.” The state took the view, apparently unchallenged by Northwest, that “distribution of marketable products,” as applied to Northwest’s operations, referred to distribution of cargo and not passengers. The state and Northwest did not attempt to precisely specify which of the multitude of personal property items at Wold Chamberlain Field were “[t]ools and machinery * * * used or useable” in cargo, as opposed to passenger or other operations.
In 1972, Northwest brought this action in district court claiming that, for the 1971 assessment year, all of the personal property mentioned above came with the tools and machinery exemption. The trial court disagreed and held that the property at the two ticket offices and the property in CAB account No. 1330 (raw materials and supplies, fuel, and oil) was not “tools and machinery” within the meaning of the exemption. For the property in other accounts at Wold Chamberlain Field the trial court found, as fact, that $263,863 (the amount originally arrived at by Northwest and the state) represented the value of items which were tools and machinery used or useable in cargo operations and held that Northwest was only entitled to an exemption for that amount.
On appeal Northwest does not dispute the premise that the § 272.02, subd. l(ll)(b) exemption applies only to tools and machinery used or useable in its cargo operations. Instead, Northwest argues
We must disagree. Northwest’s interpretation would, in effect, convert the limited exemption in effect during the 1971 assessment year into a blanket exemption for almost all business personal property. The legislature did not grant this far broader exemption until it rewrote the exemption statute,
Affirmed.
. The record indicates that most Northwest flights carry both passengers and cargo. Most of Northwest’s revenues, however, come from its passenger operations. In 1970, 8 percent of Northwest’s total revenues came from carrying cargo; in 1971 this increased to 9 percent.
. As authority, Northwest relies principally on General Mills, Inc. v. Commr. of Taxation. 294 Minn. 175, 199 N.W.2d 636 (1972), but that case is readily distinguishable. In this case there was no showing analogous to that made in General Mills that Northwest’s computer reservation equipment was used principally for distribution of cargo. The other property in question in General Mills was referred to as “tools and machinery” used for quality control and research. We held that research and quality control are part of the process of producing marketable products and that therefore the
. Ex.Sess.L.1971, c. 31, art. XXII, § 3.
Reference
- Full Case Name
- In re DEFENSES AND OBJECTIONS TO PERSONAL PROPERTY TAXES FOR 1971 ASSESSMENT. STATE of Minnesota v. NORTHWEST AIRLINES, answering taxpayer
- Status
- Published