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NOT FOR PUBLICATION WITHOUT THE APPROVAL …

NOT FOR PUBLICATION WITHOUT THE APPROVAL OF THE TAX COURT COMMITTEE ON OPINIONS _____ : AHS HOSPITAL CORP., d/b/a : TAX COURT OF NEW JERSEY MORRISTOWN MEMORIAL : DOCKET NOs.: 010900-2007 HOSPITAL : 010901-2007 : 000406-2008 Plaintiff, : : v. : : TOWN of MORRISTOWN, a : Municipal Corporation of the : State of New Jersey : : Defendant. : _____: Decided: June 25, 2015 Michael S. Bubb, Esq. and Christopher L.

not for publication without the approval of the tax court committee on opinions _____ : ahs hospital corp., d/b/a : tax court of new jersey

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Transcription of NOT FOR PUBLICATION WITHOUT THE APPROVAL …

1 NOT FOR PUBLICATION WITHOUT THE APPROVAL OF THE TAX COURT COMMITTEE ON OPINIONS _____ : AHS HOSPITAL CORP., d/b/a : TAX COURT OF NEW JERSEY MORRISTOWN MEMORIAL : DOCKET NOs.: 010900-2007 HOSPITAL : 010901-2007 : 000406-2008 Plaintiff, : : v. : : TOWN of MORRISTOWN, a : Municipal Corporation of the : State of New Jersey : : Defendant. : _____: Decided: June 25, 2015 Michael S. Bubb, Esq. and Christopher L.

2 Deininger, Esq. (Bubb, Grogan & Cocca, LLP, attorneys), and Kenneth J. Norcross, Esq. and Nicole A. Bayman, Esq. (Drinker Biddle & Reath, LLP, attorneys), for Plaintiff; Mr. Bubb, Mr. Deininger, Mr. Norcross, and Ms. Bayman on brief. Martin Allen, Esq., Jorge A. Sanchez, Esq., and Allison L. Siegel, Esq. (DiFrancesco, Bateman, Coley, Yospin, Kunzman, Davis, Lehrer & Flaum, , attorneys), for Defendant; Mr. Allen, Mr. Sanchez, and Ms. Siegel on brief. BIANCO, This constitutes the court s formal opinion following trial, with regard to the profit test stage of a property tax exemption determination pursuant to 54 , concerning property owned by plaintiff, AHS Hospital Corp.

3 , d/b/a Morristown Memorial Hospital1 (the Hospital ), located within defendant, Town of Morristown, a * 1 Now known as Morristown Medical Center. Approved for PUBLICATION In the New Jersey Tax Court Reports 2 Municipal Corporation of the State of New Jersey ( Morristown ). The Hospital challenges the denial of its claim for property tax exemption for tax years 2006, 2007, and 2008 with respect to Block 4201, Lot , Morristown, Morris County, commonly referred to as 68-200 Madison Avenue (the Subject Property ).

4 Table of Contents I. 3 II. Procedural 5 III. Factual 8 A. 8 B. Hospital 9 C. Operation and Use of the IV. History of V. Evolution of New Jersey s Property Tax Exemption For Hospitals up to VI. Applicable A. 54 and Case B. Kimberly School v. C. Post Kimberly School VII. The Hospital s Relationship with Private For-Profit VIII. Affiliated and Non-Affiliated For-Profit A. Captive B. Affiliated For-Profit C. AHS Insurance Co., D. Non-Affiliated For-Profit E.

5 IX. Executive X. Employed Physicians A. B. XI. Third Party A. Gateway B. Aramark XII. Gift A. Reasonably Necessary B. XIII. Auditorium, Day Care Area, Fitness Center, XIV. APPENDIX 3 APPENDIX I. Introduction This is a case of first impression: it is the first time a non-profit hospital s entire property tax exemption has been called into question before this court. It comes at a time when there has been increased scrutiny with regard to property tax exemptions for all non-profit organizations, including Historically, American hospitals have been exempt from property taxes (and other taxes) based upon their origins intricately founded in religious and charitable traditions.

6 In New Jersey, property tax exemptions were first codified under the Laws of 1851, under which hospitals qualified essentially as non-profit, charitable institutions. Qualified hospitals were specifically exempt from property taxes in New Jersey beginning with the Laws of 1913, and that exemption is now set forth in 54 Non-profit hospitals have changed significantly, however, from their early origins as charitable alms houses providing free basic medical treatment to the infirm poor.

7 Today they are sophisticated centers of medical care, and in some cases, education, providing a litany of medical services regardless of a patient s ability to pay. 2 [I]f you narrow the tax base by exempting some property, everyone else pays more.. The effects of the exemption are exacerbated by the fact that nonprofits use local government services. The pubic policy for [e]xempting nonprofits from tax is grounded in the belief that they provide some service to society that, in their absence, would have to be provided by government.

8 But for most nonprofits, that is not true. David Brunori, It s Time To End Property Tax Exemptions For Everyone, Forbes Magazine, Feb. 14, 2015, available at 4 Recently, New Jersey has experienced the emergence of tax-paying, for-profit hospitals now competing for the same pool of medical professionals and patients as their non-profit forebearers. Like their new for-profit competitors, today s non-profit hospitals have evolved into labyrinthine corporate structures, intertwined with both non-profit and for-profit subsidiaries and unaffiliated corporate entities.

9 Indeed, our Supreme Court has observed that a hospital is a complex business vitally affected with a public interest. Belmar v. Cipolla, 96 199, 207 (1984). Today s non-profit hospitals generate significant revenue and pay their professionals salaries that are competitive even by for-profit standards. Furthermore, private physicians and medical practices associated with a non-profit hospital earn and retain income generated on hospital property. The Hospital in this case is no exception.

10 There is no dispute that a hospital is a work place for hundreds of people who care for patients, maintain and operate the plant and equipment, and conduct the business of a complicated health care facility. Id. The Hospital in this matter enjoys a well-deserved reputation for excellence in medical care and education. It has amassed an exemplary staff of doctors, nurses, and other medical professionals dedicated individuals committed to providing first-rate medical care to the greater Morristown community.


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