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Facts

  • The taxpayer, a Colorado-based company, failed to pay gross receipts taxes for tax periods between June 1, 2006, and July 1, 2007. During this period, the maximum statutory penalty for failure to pay was ten percent of the unpaid tax amount. However, on January 1, 2008, the Legislature increased the maximum statutory penalty to twenty percent. The Department assessed the taxpayer in 2009, applying the twenty percent penalty, which the taxpayer protested, arguing that the penalty rate at the time of their tax liability should apply, not the increased rate (paras 2-4).

Procedural History

  • [Not applicable or not found]

Parties' Submissions

  • Taxpayer: Argued that the ten percent penalty rate in effect at the time of the tax liability should apply and that applying the new twenty percent penalty rate gave the legislative amendment retroactive effect, which was improper (para 4).
  • Department: Requested a hearing to determine if the new statutory penalty was properly applied to the taxpayer's liability that arose before the amendment but was assessed after its effective date. The Department argued for the application of the twenty percent penalty based on the law in effect at the time of assessment (paras 3-4).

Legal Issues

  • Whether the 2007 amendment to Section 7-1-69 applies to tax liabilities that arose for tax periods occurring prior to January 1, 2008, but were assessed after the effective date of the amendment.
  • Whether the application of the new statutory penalty to these earlier tax periods gives Section 7-1-69 improper retroactive effect.

Disposition

  • The court affirmed the hearing officer's decision to impose the new statutory penalty of twenty percent against the taxpayer (para 26).

Reasons

  • The court, led by Judge Vanzi with Judges Wechsler and Garcia concurring, held that the penalty is determined at the time of assessment and that the Department applied the correct maximum penalty based on the law in effect at that time. The court found no language in the statute allowing for a different method of calculating the penalty and emphasized that the Legislature did not include provisions directing that the pre-amendment version of Section 7-1-69 be applied to tax liabilities arising prior to January 1, 2008. The court also concluded that applying the penalty cap in place at the time of assessment is consistent with the purpose of the penalty, which is to punish and deter failure to file or pay taxes. The application of the new statutory penalty at the time of assessment does not give Section 7-1-69 improper retroactive effect because it does not impair vested rights, require new obligations, or impose new duties on past transactions. The court's decision was based on statutory interpretation and the application of the law, with a de novo standard of review (paras 5-25). Judge Garcia specially concurred, calling for further clarification from the Supreme Court regarding retroactivity issues in legislative changes to tax statutes (para 28).
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