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Facts

  • A Nebraska corporation, CAVU Co., owned a property in Santa Fe, New Mexico, previously used as a school and exempt from property taxes through 2008. Between May 2008 and August 2010, the property was not in active educational use, except for a brief period when it was used by an organization for dog training. In 2010, the Santa Fe County Assessor determined the property was no longer exempt from ad valorem taxes, valuing it at $6,689,750. CAVU Co. protested this determination, arguing for exemption based on non-uniform treatment and previous educational use (paras 3-4).

Procedural History

  • District Court of Santa Fe County: Reversed the Santa Fe County Protest Board's decision, ruling that the property did not qualify for an exemption for the 2010 tax year due to lack of active educational use on January 1, 2010, and no evidence of fraud or intentional discrimination by the Assessor (para 6).

Parties' Submissions

  • Appellant (CAVU Co.): Argued that the district court's interpretation of the statute was too narrow and contrary to constitutional and statutory provisions. Contended that the property's use before January 1 should be considered for exemption eligibility and that non-uniform treatment of similarly situated properties warranted exemption (paras 7-9, 25).
  • Appellee (Santa Fe County Assessor): Maintained that the property must be in use as an educational facility on January 1 to qualify for an exemption and that there was no basis for exemption based on non-uniform treatment without evidence of fraud or intentional discrimination (paras 13-14, 26).

Legal Issues

  • Whether the district court erred in interpreting the statute and regulation too narrowly by focusing exclusively on the property's use on January 1 for determining tax exemption eligibility (para 8).
  • Whether the property is entitled to tax exemption based on non-uniform treatment of similarly situated properties without evidence of fraud or intentional discrimination (para 25).

Disposition

  • The Court of Appeals affirmed the district court's decision that the property did not qualify for an exemption for the 2010 tax year based on both the narrow interpretation of the statute and the lack of entitlement to exemption due to non-uniform treatment (paras 22, 32).

Reasons

  • Judges: Michael D. Bustamante, Linda M. Vanzi, J. Miles Hanisee. The court concluded that while the district court erred in its narrow focus on the property's use on January 1, the property still did not qualify for an educational use exemption as its use was not "primary and substantial" for the necessary period before January 1, 2010. Additionally, the court found no constitutional basis for exemption based on non-uniform treatment without evidence of fraud or intentional discrimination. The court emphasized the importance of actual use of the property for educational purposes in determining exemption eligibility and clarified that disparities in taxation do not automatically constitute a constitutional violation unless resulting from fraud or systematic discrimination (paras 8-34).
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