View Bill Status
View Bill Text
View Statement of Purpose / Fiscal Impact
H0014...............................................by REVENUE AND TAXATION TAXPAYER APPEALS - Amends existing law to revise jurisdictional provisions for appeals to the Board of Tax Appeals and the district court; and to define the term "amount asserted." 01/19 House intro - 1st rdg - to printing 01/20 Rpt prt - to Rev/Tax 02/01 Rpt out - rec d/p - to 2nd rdg 02/02 2nd rdg - to 3rd rdg 02/03 3rd rdg - PASSED - 70-0-0 AYES -- Anderson, Andrus, Barraclough, Barrett, Bastian, Bayer, Bedke, Bell, Bilbao, Black, Block, Boe, Bolz, Bradford, Cannon, Chadderdon, Clark, Collins, Crow, Deal, Denney, Edmunson, Ellsworth, Eskridge, Field(18), Field(23), Garrett, Hart, Harwood, Henbest, Henderson, Jaquet, Jones, Kemp, Lake, LeFavour, Loertscher, Martinez, Mathews, McGeachin, McKague, Miller, Mitchell, Moyle, Nielsen, Nonini, Pasley-Stuart, Pence, Raybould, Ring, Ringo, Roberts, Rusche, Rydalch, Sali, Sayler, Schaefer, Shepherd(2), Shepherd(8), Shirley, Skippen, Smith(30), Smith(24), Smylie, Snodgrass, Stevenson, Trail, Wills, Wood, Mr. Speaker NAYS -- None Absent and excused -- None Floor Sponsor - Raybould Title apvd - to Senate 02/04 Senate intro - 1st rdg - to Loc Gov 02/09 Rpt out - rec d/p - to 2nd rdg 02/10 2nd rdg - to 3rd rdg 02/11 3rd rdg - PASSED - 32-0-3 AYES -- Brandt, Broadsword, Bunderson, Burkett, Burtenshaw, Coiner, Compton, Corder, Darrington, Davis, Gannon, Geddes, Goedde, Hill, Jorgenson, Kelly, Keough, Langhorst, Little, Lodge, Marley, McGee, McKenzie, Noble, Pearce, Richardson, Schroeder, Stegner, Stennett, Sweet, Werk, Williams NAYS -- None Absent and excused -- Andreason, Cameron, Malepeai Floor Sponsor - McKenzie Title apvd - to House 02/14 To enrol 02/15 Rpt enrol - Sp signed 02/16 Pres signed 02/17 To Governor 02/18 Governor signed Session Law Chapter 17 Effective: 07/01/05
]]]] LEGISLATURE OF THE STATE OF IDAHO ]]]] Fifty-eighth Legislature First Regular Session - 2005IN THE HOUSE OF REPRESENTATIVES HOUSE BILL NO. 14 BY REVENUE AND TAXATION COMMITTEE 1 AN ACT 2 RELATING TO JUDICIAL REVIEW OF DECISIONS OF THE STATE TAX COMMISSION; AMENDING 3 SECTION 63-3049, IDAHO CODE, TO REVISE JURISDICTIONAL PROVISIONS FOR 4 APPEALS TO THE BOARD OF TAX APPEALS AND THE DISTRICT COURT, TO DEFINE A 5 TERM AND TO MAKE TECHNICAL CHANGES. 6 Be It Enacted by the Legislature of the State of Idaho: 7 SECTION 1. That Section 63-3049, Idaho Code, be, and the same is hereby 8 amended to read as follows: 9 63-3049. JUDICIAL REVIEW. (a) Redetermination by the state tax commission 10 may be reviewed in the district court for Ada county or the county in which 11 the taxpayer resides or has his principal office or place of business by a 12 complaint filed by the taxpayer against the state tax commission within 13 ninety-one (91) days after the receipt of notice of the decision of the state 14 tax commission denying, in whole or in part, any protest of the taxpayer or, 15 within the same period, by filing an appeal with the board of tax appeals. 16 Upon the serving of summons upon the state tax commission the case shall pro- 17 ceed as other civil cases but may be heard by the judge in chambers. If the 18 case is appealed to the board of tax appeals, the hearing before that body 19 shall proceed as set forth in the act creating such board. If the court finds 20 that any tax is due, it shall enter judgment for such tax, including any 21 interest or penalties that may also be due and owing, against the taxpayer. 22 Any taxes, penalties or interest paid, found by the court to be in excess of 23 that which can be legally assessed, shall be ordered refunded to the taxpayer 24 with interest from the time of payment. In the case of sales or use tax and 25 corporate income tax decisions by the state tax commission, when the amountin26dispute at the time the notice of deficiency determination/overassessment is27issuedasserted exceeds twenty-five thousand dollars ($25,000), no appeal to 28 the board of tax appeals shall be allowed. 29 (b) Before a taxpayer may seek review by the district court or the board 30 of tax appeals, the taxpayer shall secure the payment of the tax or deficiency 31 as assessed by depositing cash with the tax commission in an amount equal to 32 twenty percent (20%) of thetax, penalty and interestamount asserted. In lieu 33 of the cash deposit, the taxpayer may deposit any other type of security 34 acceptable to the tax commission. 35 No act, order or proceeding of the tax commission shall be valid until 36 after the time allowed for taking such court action has expired or such court 37 action is finally determined. As used in this section, the term "amount 38 asserted" shall mean the total amount due, as set forth in the decision of the 39 state tax commission. 40 (c) Any party to the proceedings may appeal to theSsupremeCcourt from 41 the judgment of the district court under the rules and regulations prescribed 42 for appeals. If the appeal be taken by the state tax commission, it shall not 43 be required to give any undertaking or to make any deposits to secure the cost 2 1 of such appeal or to secure the payment of any amounts ordered refunded by the 2 court. 3 (d) Whenever it appears to the court that: 4 (1) Proceedings before it have been instituted or maintained by a party 5 primarily for delay; or 6 (2) A party's position in such proceeding is frivolous or groundless; or 7 (3) A party unreasonably failed to pursue available administrative reme- 8 dies; 9 the court, in its discretion, may require the party which did not prevail to 10 pay to the prevailing party costs, expenses and attorney's fees.
STATEMENT OF PURPOSE RS 14441 This bill makes it easier to determine whether a State Tax Commission decision should be appealed to the district court or the Board of Tax Appeals. It also changes the requirement for the deposit a taxpayer makes when appealing a decision. Corporate income and sales tax cases must be filed in district court when tax, penalty and interest total more than $25,000. Currently, that $25,000 is based on the amount in controversy when the State Tax Commission issues a notice of deficiency. This bill would base the $25,000 threshold on the amount asserted when the State Tax Commission issues its decision. Also, taxpayers currently deposit 20% of the tax penalty and interest due. This would change to 20% of the amount asserted when the State Tax Commission issues its decision. FISCAL IMPACT No fiscal effect. CONTACT Name: Dan John Agency: State Tax Commission Phone: 334-7530 STATEMENT OF PURPOSE/FISCAL NOTE H 14