96-001556
Abraham Saada And Regina Saada vs.
Department Of Revenue
Status: Closed
Recommended Order on Thursday, May 8, 1997.
Recommended Order on Thursday, May 8, 1997.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8ABRAHAM SAADA and REGINA SAADA, )
14)
15Petitioner, )
17)
18vs. ) CASE NO. 96-1556
23)
24DEPARTMENT OF REVENUE, )
28)
29Respondent. )
31__________________________________)
32RECOMMENDED ORDER OF DISMISSAL
36Pursuant to notice, a hearing was held in this case via
47telephone on December 19, 1997, before Patricia Hart Malono, a
57duly-designated Administrative Law Judge of the Division of
65Administrative Hearings, on the Respondent's Motion for
72Recommended Summary Final Order.
76APPEARANCES
77For Respondent: Charles Catanzaro
81Assistant Attorney General
84Office of the Attorney General
89The Capitol - Tax Section
94Tallahassee, Florida 32399-1050
97For Petitioner: Joseph R. Giaramita, Esquire
1032016 Harrison Street
106Hollywood, Florida 33020
109STATEMENT OF THE ISSUES
113Whether the petitioners are entitled to a refund of the
123documentary stamp taxes paid on a Special Warranty Deed conveying
133real property from the Federal Home Loan Mortgage Corporation to
143one of the petitioners.
147PRELIMINARY STATEMENT
149On December 16, 1994, the Federal Home Loan Mortgage
158Corporation ("Freddie Mac") filed an Application for Refund from
169the State of Florida Department of Revenue ("Department"),
179requesting that the Department refund $9,600.00 which it claimed
189to have inadvertently paid as documentary stamp tax on a deed
200from Freddie Mac to a "non-exempt party." In a letter dated
211August 1, 1995, the Department notified Freddie Mac that it
221proposed to deny the refund request, identified as claim number
23195-72099, and that the denial would become final on October 2,
2421995.
243A protest letter dated November 29, 1995, was submitted to
253the Department, and in a Notice of Decision of Refund Denial
264issued January 24, 1996, the Department notified Joseph R.
273Giaramita of its decision to sustain the refund denial. On March
28425, 1996, Mr. Giaramita timely filed with the Department a
294Petition for Chapter 120 Administrative Hearing to Contest Denial
303of Stamp Tax Refund; the petition was filed on behalf of Abraham
315and Regina Saada. In the Petition, the Saadas alleged that their
326substantial interests would be affected by the Department's
334decision to deny Freddie Mac's application for a documentary
343stamp tax refund because "they overpaid $9,600.00 in documentary
353stamp taxes on a deed from an instrumentality of the Federal
364Government to a non-exempt party."
369The Department forwarded the petition to the Division of
378Administrative Hearings for the assignment of an administrative
386law judge. At the request of the parties, this case has been in
399abeyance while the parties pursued discovery and settlement
407negotiations, and the formal hearing has never been scheduled.
416On August 30, 1996, the Department filed a Motion for
426Recommended Summary Final Order and Supporting Memorandum of Law.
435A response in opposition to the motion was filed by the
446petitioners on November 21, 1996, and a Memorandum of Law
456Supplementing its Motion for Summary Judgment was filed by the
466Department on December 4, 1996. Upon notice, a telephone hearing
476was held on the motion on December 19, 1996.
485FINDINGS OF FACT
488Based on the facts alleged in the petition for
497administrative hearing, the responses to requests for admission,
505and the facts stipulated to at the hearing on the motion for
517recommended summary final order, the following findings of fact
526are made:
5281. On September 27, 1994, Freddie Mac conveyed to Abe Saada
539by a Special Warranty Deed real property located in Dade County,
550Florida. Regina Saada is not a party to the Special Warranty
561Deed.
5622. The U.S. Department of Housing and Urban Development
571Settlement Statement prepared for the closing on the property
580showed that $9,600.00 in "state tax/stamps" was owed on the deed,
592of which $4,800.00 was to be paid from the funds of the seller,
606Freddie Mac, and $4,800.00 was to be paid from the funds of the
620borrower, Abe Saada.
6233. Pursuant to its agreement with Mr. Saada, Freddie Mac
633paid $9,600.00 to the Clerk of Court as the documentary stamp tax
646on the deed on or about September 28, 1994. The deed was
658recorded in the Dade County Official Records at Book 16525 at
669pages 3583-3585.
6714. Abraham Saada is not exempt from the documentary stamp
681tax.
682CONCLUSIONS OF LAW
6855. The Division of Administrative Hearings has jurisdiction
693over the subject matter of this proceeding and of the parties
704thereto pursuant to section 120.569 and .57(1), Florida Statutes
713(Supp. 1996).
7156. Section 201.01, Florida Statutes, imposes liability for
723the payment of state excise tax as follows:
731There shall be levied, collected, and paid
738the taxes specified in this chapter, for and
746in respect to the several documents, bonds,
753debentures or certificates of stock and
759indebtedness, and other documents,
763instruments, matters, writings, and things
768described in the following sections, or for
775or in respect of the vellum, parchment, or
783paper upon which such document, instrument,
789matter, writing, or thing, or any of them, is
798written or printed by any person who makes,
806signs, executes, issues, sells, removes,
811consigns, assigns, records, or ships the
817same, or for whose benefit or use the same
826are made, signed, executed, issued, sold,
832removed, consigned, assigned, recorded, or
837shipped in the state. Unless exempt under s.
845201.24 or under any state or federal law, if
854the United States, the state, or any
861political subdivision of the state is a party
869to a document taxable under this chapter, any
877tax specified in this chapter shall be paid
885by a nonexempt party to the document. The
893documentary stamp taxes required under this
899chapter shall be affixed to and placed on all
908recordable instruments requiring documentary
912stamps according to law, prior to
918recordation. With respect to mortgages or
924trust deeds which do not incorporate the
931certificate of indebtedness, a notation shall
937be made on the note or certificate that the
946tax has been paid and that the proper stamps
955have been affixed to the mortgage or trust
963deed.
9647. The exemptions stated in section 201.24, Florida
972Statutes, are not applicable to the parties to this transaction.
9828. Section 201.02, Florida Statutes, imposes the
989documentary stamp tax on deeds and other instruments relating to
999real property.
10019. Rule chapter 12B-4, Florida Administrative Code,
1008contains the Department's rules for administration of the
1016documentary stamp tax. Rule 12B-4.014(9) provides that "[t]he
1024United States or its agencies are exempt from payment of the tax
1036and unless the instrument is exempted by any state or federal
1047law, the required tax is the responsibility of the non-exempt
1057party."
105810. Even though Freddie Mac is not a governmental entity or
1069an agency or instumentality of the United States, American
1078Bankers Mortgage Corp. v. Federal Home Loan Mortgage Corp. , 75
1088F.3d 1401 (9 th Cir. 1996); Liberty Mortgage Banking Ltd. v.
1099Federal Home Mortgage Corp. , 822 F.Supp. 956, 958 (E.D.N.Y.
11081993), it is exempt from state taxation pursuant to Title 12,
1119section 1452(d), United States Code. 1
112511. There is no exemption provided by Congress for a
1135Special Warranty Deed issued by Freddie Mac, and, therefore, the
1145deed is a taxable instrument under Florida law.
115312. Rule 12B-4.002, Florida Administrative Code, provides
1160in pertinent part:
1163(1)(a) Liability in general -- Except as
1170otherwise provided in paragraph (2) and (3)
1177of this Rule, the [documentary stamp] tax is
1185payable by any of the parties to a taxable
1194transaction. The parties to the transaction
1200may agree among themselves as to who shall
1208pay the tax, but such agreements do not
1216relieve the others from their liability in
1223the event the agreement is not followed.
123013. The exemptions stated in rule 12B4.014(2) and (3) are
1240not applicable to the parties to this transaction.
124814. Even though Freddie Mac agreed to pay one-half of the
1259$9,600.00 documentary stamp tax due to be affixed to the Special
1271Warranty Deed prior to its being recorded in the Dade County
1282Official Records, as the non-exempt party to the transaction, Mr.
1292Saada was responsible for paying the entire amount of the
1302documentary stamp tax due on the deed. See Cohen-Ager, Inc., v.
1313Department of Revenue and Metropolitan Dade County , 8 FALR 4912
1323(Dep't of Rev. 1986)(if document is taxed pursuant to chapter
1333201, Florida Statutes, documentary stamps are required even if
1342one party is tax exempt, and the tax must be paid by the non-
1356exempt party).
135815. Because Mr. Saada is liable for the documentary stamp
1368tax on the Special Warranty Deed, he is not entitled to a refund
1381of any part of the $9,600.00 documentary stamp tax at issue in
1394this case. 2
1397RECOMMENDATION
1398Based on the foregoing Findings of Fact and Conclusions of
1408Law, it is RECOMMENDED that the Department of Revenue enter a
1419Final Order dismissing the Petition for Chapter 120
1427Administrative Hearing to Contest Denial of Stamp Tax Refund
1436filed by Abraham Saada and Regina Saada.
1443DONE AND ENTERED this 8th day of May, 1997, in Tallahassee,
1454Leon County, Florida.
1457___________________________________
1458PATRICIA HART MALONO
1461Administrative Law Judge
1464Division of Administrative Hearings
1468The DeSoto Building
14711230 Apalachee Parkway
1474Tallahassee, Florida 32399-3060
1477(904) 488-9675 SUNCOM 278-9675
1481Fax Filing (904) 921-6847
1485Filed with the Clerk of the
1491Division of Administrative Hearings
1495this 8th day of May, 1997.
1501ENDNOTES
15021 That section provides:
1506The Corporation, including its
1510franchise, activities, capital, reserves,
1514surplus, and income, shall be exempt from all
1522taxation now or hereafter imposed by any
1529territory, dependency, or possession of the
1535United States or by any State, county,
1542municipality, or local taxing authority,
1547except that any real property of the
1554Corporation shall be subject to State,
1560territorial, county, municipal, or local
1565taxation to the same extent according to its
1573value as other real property is taxed.
15802 Given this conclusion, it is not necessary to reach the issue
1592of whether Abraham and Regina Saada have standing to protest the
1603denial of the refund request submitted by Freddie Mac.
1612COPIES FURNISHED:
1614Charles Catanzaro
1616Assistant Attorney General
1619Office of the Attorney General
1624The Capitol - Tax Section
1629Tallahassee, Florida 32399-1050
1632Joseph R. Giaramita, Esquire
16362016 Harrison Street
1639Hollywood, Florida 33020
1642Linda Lettera, General Counsel
1646Department of Revenue
1649204 Carlton Building
1652Tallahassee, Florida 32399-0100
1655Larry Fuchs, Executive Director
1659Department of Revenue
1662104 Carlton Building
1665Tallahassee, Florida 32399-0100
1668NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
1674All parties have the right to submit written exceptions within 15
1685days from the date of this recommended order. Any exceptions to
1696this recommended order should be filed with the agency that will
1707issue the final order in this case.
17141 That section provides:
1718The Corporation, including its
1722franchise, activities, capital, reserves,
1726surplus, and income, shall be exempt from all
1734taxation now or hereafter imposed by any
1741territory, dependency, or possession of the
1747United States or by any State, county,
1754municipality, or local taxing authority,
1759except that any real property of the
1766Corporation shall be subject to State,
1772territorial, county, municipal, or local
1777taxation to the same extent according to its
1785value as other real property is taxed.
17922 Given this conclusion, it is not necessary to reach the issue
1804of whether Abraham and Regina Saada have standing to protest the
1815denial of the refund request submitted by Freddie Mac.
- Date
- Proceedings
- Date: 06/16/1997
- Proceedings: Final Order received.
- Date: 05/08/1997
- Proceedings: Recommended Order of Dismissal sent out.
- Date: 12/05/1996
- Proceedings: Respondent`s Notice of Intent to Record Proceedings received.
- Date: 12/04/1996
- Proceedings: Respondent`s Memorandum of Law Supplementing Its Motion for Summary Judgment received.
- Date: 11/21/1996
- Proceedings: Petitioner`s Response to Respondent`s Motion for Recommended Summary Final Order received.
- Date: 11/05/1996
- Proceedings: Order Setting Time for Response and Scheduling Telephone Hearing setout. (Hearing set for 12/19/96; 9:00am)
- Date: 10/24/1996
- Proceedings: Parties Joint Status Report received.
- Date: 08/30/1996
- Proceedings: Respondent`s Motion for Recommended Summary Final Order and Supporting Memorandum of Law received.
- Date: 08/05/1996
- Proceedings: Order Holding Case in Abeyance sent out. (Parties to File status report by 10/21/96)
- Date: 08/05/1996
- Proceedings: Petitioner`s Response to Respondent`s Request for Production received.
- Date: 07/22/1996
- Proceedings: Parties` Joint Status Report received.
- Date: 07/12/1996
- Proceedings: (Petitioner) Notice of Filing Answers to Written Interrogatories; Notice of Filing Answers to Requests for Admissions received.
- Date: 05/14/1996
- Proceedings: (Respondent) Notice of Serving Interrogatories; Respondent`s First Request for Admissions; Respondent`s First Request for Production of Documents received.
- Date: 04/25/1996
- Proceedings: Order Holding Case in Abeyance sent out. (Parties to File status report by 7/22/96)
- Date: 04/19/1996
- Proceedings: Parties` Joint Response to Initial Order and Motion to Abate Hearing Scheduling (But Not Discovery) received.
- Date: 04/16/1996
- Proceedings: Respondent`s Answer to the Petition and Defense received.
- Date: 04/10/1996
- Proceedings: Initial Order issued.
- Date: 03/28/1996
- Proceedings: Agency referral letter; Petition for Chapter 120 Administrative Hearing to Contest Denial of Stamp Tax Refund; Agency Action letter received.
Case Information
- Judge:
- PATRICIA M. HART
- Date Filed:
- 03/28/1996
- Date Assignment:
- 04/10/1996
- Last Docket Entry:
- 06/16/1997
- Location:
- Hollywood, Florida
- District:
- Southern
- Agency:
- ADOPTED IN TOTO