STATE OF FLORIDA
DIVISION OF ADMINISTRATIVE HEARINGS
STREETER CATERING, INC., )
)
Petitioner, )
)
vs. ) CASE NO. 92-3473
)
DEPARTMENT OF REVENUE, )
)
Respondent. )
)
RECOMMENDED ORDER
Pursuant to Notice, this cause was heard by Linda M. Rigot, the assigned Hearing Officer of the Division of Administrative Hearings, on May 23, 1994, in Tallahassee, Florida.
APPEARANCES
For Petitioner: Did not appear and was not represented For Respondent: Eric J. Taylor, Esquire
Assistant Attorney General
Office of the Attorney General The Capitol, Tax Section Tallahassee, Florida 32399-1050
STATEMENT OF THE ISSUE
The issue presented is whether Petitioner is liable for payment of sales and use taxes.
PRELIMINARY STATEMENT
Pursuant to an audit, Respondent Department of Revenue advised Petitioner Streeter Catering, Inc., that it was liable for sales and use taxes in the amount of $213,683.87 for the audit period of June 1, 1985 through May 31, 1990. Petitioner timely requested a formal hearing regarding that determination, and this cause was thereafter transferred to the Division of Administrative Hearings on June 8, 1992. On October 9, 1992, the Department issued a second revised audit assessment reducing Petitioner's purported liability to the amount of
$147,924.45.
By Order Granting Continuance and Rescheduling Hearing entered February 15, 1994, this cause was rescheduled for final hearing, for the fifth time, on May 23, 1994. At the final hearing, neither of Petitioner's two attorneys of record appeared and no one else appeared on Petitioner's behalf. Respondent's attorney represented that he had spoken to one of Petitioner's attorneys late in the afternoon of May 20, the Friday before the Monday morning final hearing in this cause, and Petitioner's attorney had advised Respondent's attorney that he would not be appearing for the final hearing. No contact was made with the
undersigned on behalf of Petitioner until Petitioner filed its Objection to Proposed Recommended Order on July 27, 1994. Petitioner's objection is overruled.
The Department presented the testimony of Bill Oglo. Additionally, the Department's Exhibits numbered 1 and 2 were admitted in evidence.
Only the Department submitted post-hearing proposed findings of fact in the form of a proposed recommended order. A specific ruling on each proposed finding of fact can be found in the Appendix to this Recommended Order.
FINDINGS OF FACT
The Department conducted an audit of the business records of Petitioner, a Florida corporation operating a food catering business, covering the audit period of June 1, 1985 through May 31, 1990. As a result of that audit, the Department determined that Petitioner had failed to collect and remit sales taxes due to the Department and was liable for the payment of those unpaid sales taxes.
The Department issued an assessment determining that Petitioner owed the amount of $213,683.87 in unpaid taxes, interest, and penalty for the audit period.
On October 9, 1992, the Department issued its second revised audit assessment based upon its redetermination of Petitioner's tax liability. On that date, the Department reduced Petitioner's liability to the amount of
$147,924.45, which sum includes the unpaid tax, the penalty therefor, and interest through that date. Based on its revised calculations, the Department also determined that interest would accrue at the rate of $27.06 per day until the date of payment.
Through the date of the final hearing in this cause, Petitioner has made no payments to satisfy or reduce the amount of assessment.
CONCLUSIONS OF LAW
The Division of Administrative Hearings has jurisdiction over the parties hereto and the subject matter hereof. Section 120.57(1), Florida Statutes.
Section 120.575(2), Florida Statutes, provides as follows:
(2) In any administrative proceeding brought pursuant to s. 120.57, the applicable department's burden of proof, except as otherwise specifically provided by general law, shall be limited to a showing that an assessment has been made against the taxpayer and the factual and legal grounds upon which the applicable department made the assessment.
The Department has met its burden of presenting a prima facie case.
Pursuant to Chapter 212, Florida Statutes, the sale of all tangible personal property in Florida is subject to the Florida sales tax, unless the item of tangible personal property has been specifically exempted from taxation
by the Florida Legislature. The sale of prepared food products for immediate consumption is subject to the Florida sales tax. Section 212.08(1)(a)1 and 4, Florida Statutes.
Once the Department presented evidence that the assessment was made and the basis therefor as reflected in the second revised assessment and the auditor's workpapers supporting that assessment, the burden shifted to Petitioner to show that the assessment was not based in law or fact. Petitioner's failure to present any evidence caused the Department's evidence regarding the amount and propriety of its assessment to stand uncontroverted.
Based upon the foregoing Findings of Fact and Conclusions of Law, it is RECOMMENDED that a Final Order be entered finding Petitioner liable for the
payment of sales tax, penalty, and interest through October 9, 1992, in the amount of $147,924.45 together with the amount of $27.06 interest per day until the date of payment.
DONE and ENTERED this 18th day of August, 1994, at Tallahassee, Florida.
LINDA M. RIGOT
Hearing Officer
Division of Administrative Hearings The DeSoto Building
1230 Apalachee Parkway
Tallahassee, Florida 32399-1550
(904) 488-9675
Filed with the Clerk of the Division of Administrative Hearings this 18th day of August, 1994.
APPENDIX TO RECOMMENDED ORDER
The Department's proposed findings of fact numbered 1 and 6-8 have been adopted in substance in this Recommended Order.
The Department's proposed findings of fact numbered 2-5 and 9-16 have been rejected as not constituting findings of fact but rather as constituting conclusions of law or recitation of the procedural context of this case.
COPIES FURNISHED:
Eric J. Taylor, Esquire Assistant Attorney General Office of the Attorney General The Capitol, Tax Section Tallahassee, Florida 32399-1050
Richard J. Hays, Esquire
7100 West Commercial Boulevard Suite 109
Lauderhill, Florida 33319
Mark D. Cohen, Esquire
121 Southeast First Street Suite 600
Miami, Florida 33131
Linda Lettera, General Counsel Department of Revenue
204 Carlton Building Tallahassee, Florida 32399-0100
Larry Fuchs, Executive Director Department of Revenue
104 Carlton Building Tallahassee, Florida 32399-0100
NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
All parties have the right to submit written exceptions to this Recommended Order. All agencies allow each party at least 10 days in which to submit written exceptions. Some agencies allow a larger period within which to submit written exceptions. You should contact the agency that will issue the final order in this case concerning agency rules on the deadline for filing exceptions to this Recommended Order. Any exceptions to this Recommended Order should be filed with the agency that will issue the final order in this case.
Issue Date | Proceedings |
---|---|
Dec. 12, 1994 | Final Order filed. |
Nov. 22, 1994 | Final Order filed. |
Aug. 18, 1994 | Recommended Order sent out. CASE CLOSED. Hearing held 5-23-94. |
Aug. 01, 1994 | (Transcript) Final Hearing filed. |
Jul. 27, 1994 | (Petitioner) Objection to Proposed Recommended Order filed. |
Jul. 12, 1994 | (Respondent) Proposed Recommended Order filed. |
May 23, 1994 | CASE STATUS: Hearing Held. |
Feb. 15, 1994 | Order Granting Continuance and Rescheduling Hearing sent out. (hearing rescheduled for 5/23/94; 9:30am; Tallahassee) |
Feb. 14, 1994 | Petitioner`s and Respondent`s Joint Motion to Continue Hearing filed. |
Dec. 08, 1993 | Fourth Notice of Hearing sent out. (hearing set for 2/14/94; 9:30am;Tallahassee) |
Dec. 08, 1993 | Order of Prehearing Instructions sent out. |
Jul. 14, 1993 | Respondent`s Notice to the Division filed. |
Mar. 04, 1993 | Respondent`s Informational Memorandum Concerning the Petitioner`s Filing a Petition in a United States Bankruptcy Court filed. |
Mar. 03, 1993 | Order Cancelling Hearing sent out. (hearing date to be rescheduled at a later date; parties to file status report no later than 90 days from the date of this Order and every 90 days thereafter) |
Feb. 23, 1993 | Respondent`s Pre-Hearing Statement filed. |
Dec. 03, 1992 | Order Granting Continuance and Rescheduling Hearing sent out. (hearing rescheduled for 3/3/93; 9:30am; Ft Lauderdale) |
Nov. 09, 1992 | Amended Order Granting Continuance and Rescheduling Hearing sent out. (hearing rescheduled for 12-8-92; 11:30am; Fort Lauderdale) |
Sep. 18, 1992 | Order Granting Continuance and Rescheduling Hearing sent out. (hearing rescheduled for 12-8-92; 11:30am; Fort Lauderdale) |
Sep. 18, 1992 | (Petitioner) Motion for Continuance filed. |
Sep. 16, 1992 | (Petitioner) Motion for Continuance filed. |
Aug. 25, 1992 | (Petitioner) Answer to Request for Production filed. |
Aug. 24, 1992 | (Petitioner) Answer to Request for Production filed. |
Jul. 08, 1992 | Order of Prehearing Instructions sent out. (parties shall file their prehearing stipulation no later than 10 days prior to date set for final hearing) |
Jul. 08, 1992 | Notice of Hearing sent out. (hearing set for 9-29-92; 11:30am; Fort Lauderdale) |
Jul. 06, 1992 | Respondent`s First Request for Production of Documents; Petitioner`s and Respondent`s Joint Response to the Division`s Initial Order filed. |
Jun. 24, 1992 | Respondent`s Response to the Petition; (Petitioner) Response to Initial Order filed. |
Jun. 24, 1992 | Respondent`s Response to the Petition filed. |
Jun. 15, 1992 | Initial Order issued. |
Jun. 08, 1992 | Agency referral letter; Petition for Chapter 120 Administrative Hearing; Agency Action Letter filed. |
Issue Date | Document | Summary |
---|---|---|
Nov. 14, 1994 | Agency Final Order | |
Aug. 18, 1994 | Recommended Order | Audit assessment found proper where catering business taxpayer failed to appear at final hearing and department met its initial burden of proof. |