From Casetext: Smarter Legal Research

2D National Bank, c. v. State Board Tax Appeals

Supreme Court of New Jersey
Apr 8, 1935
114 N.J.L. 573 (N.J. 1935)

Opinion

Submitted January 26, 1935 —

Decided April 8, 1935.

1. In determining the true value of bank stock for the purpose of taxation, the taxing authorities are not bound by the bank's statement, but must determine the same from all the evidence.

2. In determining the true value of bank stock, its market value in times of depression is no criterion of true value, and a bank, which submits to taxing authorities a statement showing the value of its shares, cannot obtain a reduction in taxes by substituting figures which, if submitted elsewhere, would result in the loss of its franchise.

On appeal.

Before BROGAN, CHIEF JUSTICE, and Justices PARKER and BODINE.

For the prosecutor, Edmund B. Hourigan.

For the respondents, William A. Stevens.


The writ brings up for review a judgment of the state board of tax appeals affirming an assessment made by the Monmouth county board of taxation upon the shares of the capital stock of the Second National Bank and Trust Company of Red Bank. The assessment was made pursuant to the Bank Stock Tax act. Pamph. L. 1918, p. 997.

The state constitution, article 4, section 7, paragraph 12, provides: "Property shall be assessed for taxation under general laws and by uniform rules according to its true value."

Mr. Justice Swayze, in Commercial Trust Co. v. Hudson Board of Taxation, 86 N.J.L. 424; affirmed, 87 Id. 179, outlined the method to be employed in determining true value.

The county board must, from all the evidence, determine the true value of bank stock for purposes of taxation. The bank's statement is not binding. Newton Trust Co. v. Atwood, 77 N.J.L. 141. In the instant case, the assessment conformed to a statement filed by the bank. Proofs before the state board indicated that upon liquidation the stock was without value, because the market value of its assets had shrunk to less than its liabilities, and further testimony indicated that no market whatever existed for the stock. Selling price is not the sole criterion of true value. Newark v. Tunis, 82 Id. 461. In times of depression no true market exists for articles of sound value. The bank having made its statement of the value of its assets cannot now complain that its figures were accepted by the local and state boards. The boards in determining true value are not confined to the bank figures, but they are not obliged to rewrite them so as to conform with the evidence here offered, it being apparent to everyone that market prices for the last few years have been of no service in determining true value. No bank can value its assets for the purpose of carrying on business at one figure and then seek the reduction of taxes by substituting figures which, if submitted elsewhere, would result in the loss of its franchise.

The writ will be dismissed, with costs.


Summaries of

2D National Bank, c. v. State Board Tax Appeals

Supreme Court of New Jersey
Apr 8, 1935
114 N.J.L. 573 (N.J. 1935)
Case details for

2D National Bank, c. v. State Board Tax Appeals

Case Details

Full title:SECOND NATIONAL BANK AND TRUST COMPANY OF RED BANK, NEW JERSEY…

Court:Supreme Court of New Jersey

Date published: Apr 8, 1935

Citations

114 N.J.L. 573 (N.J. 1935)
178 A. 96

Citing Cases

Universal Ins. Co. v. State Board of Tax Appeals

In determining true value, at a time of a depression when market prices were of no service, it held that,…

State Department of Revenue v. Birmingham Realty Co.

In assessing the value of shares of stock, all the composite relevant facts must be given consideration, and…