99-000494 In His Service vs. Department Of Revenue
 Status: Closed
Recommended Order on Tuesday, May 18, 1999.


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Summary: Petitioner applied for sales tax exemption certificate as a church, but evidence did not clearly prove place where regular worship services are conducted. The "church" was a pastor`s home in residential area not zoned for church use.

1STATE OF FLORIDA

4DIVISION OF ADMINISTRATIVE HEARINGS

8IN HIS SERVICE, )

12)

13Petitioner, )

15)

16vs. ) Case No. 99-0494

21)

22DEPARTMENT OF REVENUE, )

26)

27Respondent. )

29____________________________________)

30RECOMMENDED ORDER

32On April 13, 1999, a formal administrative hearing was held

42in this case in Clearwater, Florida, before J. Lawrence Johnston,

52Administrative Law Judge, Division of Administrative Hearings.

59APPEARANCES

60For Petitioner: Shirley Cole, Pastor

65In His Service

685155 20th Avenue, North

72St. Petersburg, Florida 33710

76For Respondent: Kevin ODonnell, Assistant General Counsel

83Department of Revenue

86Post Office Box 6668

90Tallahassee, Florida 32314-6668

93STATEMENT OF THE ISSUE

97The issue in this case is whether the Petitioner should be

108issued a sales tax exemption certificate either as a "church" or

119as a "religious organization."

123PRELIMINARY STATEMENT

125On December 28, 1998, the Respondent, the Departme nt of

135Revenue (DOR), denied the application of the Petitioner, In His

145Service, for a sales tax exemption certificate either as a

"155church" or as a "religious organization," and the Petitioner

164requested a formal administrative proceeding. DOR referred the

172matter to the Division of Administrative Hearings (DOAH) on

181February 1, and final hearing was scheduled for April 13, 1999,

192in Clearwater, Florida.

195At final hearing, Shirley Cole testified as the Petitioner's

204pastor, and had Petitioner's Exhibits 1 through 3 admitted in

214evidence. DOR called one witness and had Respondent's Exhibits 1

224through 4 admitted in evidence. DOR requested a transcript of

234the final hearing, and the parties were given ten days from the

246filing of the transcript in which to file proposed recommended

256orders. The Transcript was filed on April 22, 1999.

265FINDINGS OF FACT

2681. The Petitioner, In His Service, is a not-for-profit

277organization formed to give structure to a Bible study and prayer

288group Shirley B. Cole leads. Cole is the Petitioner's "pastor,"

298but she is not ordained, does not officiate at weddings or

309funerals, and has no formal religious training other than

318participation in similar study groups in the past.

3262. The Petitioner is affiliated with an organization called

335the Federation of Independent Churches, which has an office on

345East Bird Street in Tampa, Florida. (In a post-hearing

354submission, Cole asserted that the Petitioner's "outreach is from

363Greater Ministries International, basically functioning as a

370satellite church, but there was no evidence regarding Greater

379Ministries International.) Portions of the Petitioner's by-laws

386were admitted in evidence at the final hearing. The by-laws make

397reference to three officers--president, vice-president, and

403secretary-treasurer--but Cole testified that she was the

410secretary and that someone else was the treasurer, and she did

421not seem to know anything about a president or vice-president.

431In addition, while the by-laws refer to a board of directors and

443meetings of the board of directors, Cole does not know anything

454about either.

4563. The Petitioner is small (not more than 15 members). It

467consists primarily of Cole and her friends and neighbors and some

478others who hear about the meetings. The group has met in various

490locations, including Cole's home at 5155 20th Avenue North, St.

500Petersburg, Florida, and the homes of other members of the group.

511In addition to Bible study and prayer, the group discusses health

522issues and other topics of interest and shares reading materials

532and tapes on topics of interest. From time to time, the group

544collects items of donated personal property for the use of

554members of the group and others in need who could use the items.

5674. In late June 1998, the Petitioner applied for a sales

578tax exemption certificate as a church. In response to a question

589from a representative of the Respondent DOR Cole stated that the

600Petitioner held services in her home every Thursday from 7:30 to

6119:30 or 10 p.m.

6155. A DOR representative attempted to confirm Cole's

623representation by attending a meeting in Cole's home on Thursday,

633October 8, 1998, but no services were being held there, and no

645one was home. If there was a meeting on that day, it was held

659somewhere else.

6616. On or about December 28, 1998, DOR issued a Notice of

673Intent to Deny the Petitioner's application because the

681Petitioner did not have "an established physical place of worship

691at which nonprofit religious services and activities are

699regularly conducted and carried on."

7047. In January 1999, Cole requested an administrative

712proceeding on the Petitioner's application, representing that she

720was holding the Petitioner's meetings at her home every Monday

730from 7:30 p.m.

7338. On Monday, April 5, 1999, a DOR representative visited

743Cole's home at 7:30 or 7:35 p.m., but no one was home. At final

757hearing, Cole testified that she went to pick someone up to

768attend the meeting and was late returning.

7759. Cole had an April 1999 newsletter admitted in evidence.

785It indicates that she holds weekly Bible study meetings on

795Mondays at her home. It also indicates: "The week of April 19th

807will be our maintenance [health] meeting." It also indicates

816that the Monday, April 26, 1999, meeting would be a "covered dish

828dinner with prayer and praise fellowship afterward."

83510. Cole also had a book/tape loan check-out list admitted

845in evidence. The list indicates that two items were checked out

856on January 21, one on February 8, two on February 14, one on

869February 15, one on March 8, one on March 21, two on March 22,

883one on April 4, one on April 5, and four on April 12, 1999. (Two

898entries dated April 13 precede two on April 12, so it is assumed

911that all were on April 12, 1999).

91811. Cole owns her home, pays the taxes, and pays the

929utility bills. Cole also claims a homestead exemption. There

938are no signs, no physical attributes, or anything else that would

949identify Cole's house as a church. No part of the home is set

962aside for the Petitioner's exclusive use. The Petitioner pays no

972rent to Cole and does not reimburse Cole for any of her expenses

985(such as taxes and utility bills) of home ownership.

99412. Under local City of St. Petersburg zoning ordinances,

1003Cole would have to obtain a special exception from the

1013Environmental Development Commission to use her home as a church.

1023Cole has not attempted to do so. Had she tried, the special

1035exception would be denied because her home does not meet the

1046ordinance's minimum lot and yard size criteria for such a special

1057exception. (It is not clear whether Cole's home would meet the

1068ordinance's parking, maximum floor area ratio, and maximum

1076surface ratio criteria for a special exception for a church.)

108613. In light of past discrepancies between the Petitioner's

1095representations and the facts, it was not clear from the evidence

1106presented in this case that meetings have taken place, are taking

1117place, or will take place in Cole's home on a regular basis.

1129CONCLUSIONS OF LAW

113214. In pertinent part, Section 212.08, Florida Statutes

1140(1997), provides for the following exemption from sales tax:

1149(o) Religious, charitable, scientific,

1153educational, and veterans' institutions and

1158organizations.--

11591. There are exempt from the tax imposed by

1168this chapter transactions involving:

1172a. Sales or leases directly to churches or

1180sales or leases of tangible personal property

1187by churches;

1189* * *

11922. The provisions of this section

1198authorizing exemptions from tax shall be

1204strictly defined, limited, and applied in

1210each category as follows:

1214a. "Religious institutions" means churches,

1219synagogues, and established physical places

1224for worship at which nonprofit religious

1230services and activities are regularly

1235conducted and carried on.

123915. Florida Administrative Code Rule 12A-1.001(3) provides

1246in pertinent part:

1249(3) RELIGIOUS, EDUCATIONAL, CHARITABLE,

1253VETERANS' AND SCIENTIFIC ORGANIZATIONS, HOMES

1258FOR THE AGED, NURSING HOMES OR HOSPICES,

1265FEDERAL AND STATE CHARTERED CREDIT UNIONS,

1271FLORIDA RETIRED EDUCATORS ASSOCIATION AND

1276LOCAL CHAPTERS, ORGANIZATIONS PROVIDING

1280SPECIAL EDUCATIONAL AND SOCIAL BENEFITS TO

1286MINORS, STATE THEATER CONTRACT ORGANIZATIONS,

1291MILITARY MUSEUM FUNDRAISERS, COAST GUARD

1296AUXILIARIES, AND CEMETERY ASSOCIATIONS.

1300(a) A sale or lease directly to or sales or

1310leases of tangible personal property by

1316churches, or a sale or lease directly to

1324nonprofit religious, nonprofit educational,

1328nonprofit charitable institutions, and

1332veterans' organizations, for use in the

1338course of their customary nonprofit

1343religious, nonprofit educational, nonprofit

1347charitable activities, and for use by

1353veterans' organizations, including church

1357cemeteries, are exempt from the tax imposed

1364by Chapter 212, F.S. . . .

1371* * *

1374(c) 'Church' means a religious institution

1380having an established physical place of

1386worship where persons regularly assemble for

1392worship and instruction for religious

1397purposes. Religious organizations whose

1401functions are radio or television

1406broadcasting or those organizations

1410conducting services for short periods of time

1417at temporary locations, and religious

1422associations that provide administrative

1426functions only, are not considered to be

1433churches.

1434(d) 'Religious institutions' means

1438churches, synagogues, and established

1442physical places for worship at which

1448nonprofit religious services and activities

1453are regularly conducted and carried on.

145916. The statute and rule also provide for sales tax

1469exemptions for certain "religious institutions" other than

"1476churches, synagogues, and established physical places for

1483worship at which nonprofit religious services and activities are

1492regularly conducted and carried on." But the Petitioner does not

1502seek an exemption under any of those provisions. The issue is

1513whether the Petitioner is a "church," as defined by the statute

1524and rule-- i.e. , whether the Petitioner is an "established

1533physical [place] for worship at which nonprofit religious

1541services and activities are regularly conducted and carried on."

155017. In deciding the issue, consideration must be given to

1560the rule of statutory interpretation that provisions for tax

1569exemptions must be strictly construed against the person claiming

1578the exemption. See Asphalt Pavers, Inc., v. Dept. of Revenue ,

1588584 So. 2d 55, 57 (Fla. 1st DCA 1991); Dept. of Revenue v. Skop ,

1602383 So. 2d 678, 680 (Fla. 5th DCA 1980); Wanda Marine Corp. v.

1615Dept. of Revenue , 305 So. 2d 65, 69 (Fla. 1st DCA 1974). The

1628Petitioner has the burden to prove entitlement to the exemption.

1638Green v. Pederson , 99 So. 2d 292, 296 (Fla. 1957). Proof of

1650entitlement requires proof of all of the criteria for exemption.

1660Final Order, Gainesville Amateur Radio Society, Inc. v. Dept. of

1670Revenue , DOAH Case No. 94-1200, (DOR 1995).

167718. In this case, the evidence was not clear, in light of

1689past discrepancies between the Petitioner's representations and

1696the facts, whether meetings have taken place, are taking place,

1706or will take place in Cole's home on a regular basis. In

1718addition, it is clear that the meeting place which is the basis

1730of the Petitioner's claim for exemption is, simply put, Shirley

1740Cole's home. It is not a church and, under local law, cannot be

1753a church.

1755RECOMMENDATION

1756Based upon the foregoing Findings of Fact and Conclusions of

1766Law, it is

1769RECOMMENDED that the DOR enter a final order denying the

1779Petitioner's application for a tax exemption certificate.

1786DONE AND ENTERED this 18th day of May, 1999, in Tallahassee,

1797Leon County, Florida.

1800___________________________________

1801J. LAWRENCE JOHNSTON

1804Administrative Law Judge

1807Division of Administrative Hearings

1811The DeSoto Building

18141230 Apalachee Parkway

1817Tallahassee, Florida 32 399-3060

1821(850) 488-9675 SUNCOM 278-9675

1825Fax Filing (850) 921-6847

1829www.doah.state.fl.us

1830Filed with the Clerk of the

1836Division of Administrative Hearings

1840this 18th day of May, 1999.

1846COPIES FURNISHED:

1848Shirley Cole, Pastor

1851In His Service

18545155 20th Avenue, North

1858St. Petersburg, Florida 33710

1862Kevin ODonnell, Assistant General Counsel

1867Department of Revenue

1870Post Office Box 6668

1874Tallahassee, Florida 32314-6668

1877Linda Lettera, General Counsel

1881Department of Revenue

1884204 Carlton Building

1887Tallahassee, Florida 32399-0100

1890Larry Fuchs, Executive Director

1894Department of Revenue

1897104 Carlton Building

1900Tallahassee, Florida 32399-0100

1903NOTICE OF RIGHT TO SUBMIT EXCEPTIONS

1909All parties have the right to submit written exceptions within 15

1920days from the date of this Recommended Order. Any exceptions to

1931this Recommended Order should be filed with the agency that will

1942issue the final order in this case.

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PDF
Date
Proceedings
Date: 06/10/1999
Proceedings: Final Order filed.
PDF:
Date: 06/07/1999
Proceedings: Agency Final Order
PDF:
Date: 06/07/1999
Proceedings: Recommended Order
PDF:
Date: 05/18/1999
Proceedings: Recommended Order sent out. CASE CLOSED. Hearing held 4/13/99.
Date: 05/03/1999
Proceedings: Respondent`s Proposed Recommended Order (For Judge Signature) filed.
Date: 04/22/1999
Proceedings: Transcript of Proceedings filed.
Date: 04/21/1999
Proceedings: Letter to Judge Johnston from S. Cole Re: Request for Consumer`s Certificate of Exemption filed.
Date: 04/13/1999
Proceedings: CASE STATUS: Hearing Held.
Date: 02/22/1999
Proceedings: Notice of Final Hearing sent out. (hearing set for 4/13/99; 1:00pm; Clearwater)
Date: 02/18/1999
Proceedings: Parties Joint Response to Initial Order (filed via facsimile).
Date: 02/05/1999
Proceedings: Initial Order issued.
Date: 02/01/1999
Proceedings: Agency Referral Letter; Notice of Intent to Deny; Request for Hearing (letter) rec`d

Case Information

Judge:
J. LAWRENCE JOHNSTON
Date Filed:
02/01/1999
Date Assignment:
02/05/1999
Last Docket Entry:
06/10/1999
Location:
Clearwater, Florida
District:
Middle
Agency:
ADOPTED IN TOTO
 

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Related Florida Statute(s) (1):

Related Florida Rule(s) (1):