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07/29/2025
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07/29/2025
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Last modified
7/25/2025 3:11:16 PM
Creation date
7/25/2025 12:55:28 PM
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Meetings
Meeting Type
Value Adjustment Board
Document Type
Agenda Packet
Meeting Date
07/29/2025
Meeting Body
Value Adjustment Board
Subject
Value Adjustment Board Organizational Meeting
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Conclusions of Law for Petition 2021-00208: <br /> Conclusions of Law <br /> The Property Appraiser's Office presented reasonable evidence leading to a credible <br /> indication of value. Key elements of this consideration are as follows: <br /> 1. Cost Approach data is developed, with both the Sales Compa 'son Approach and the <br /> income Approach considered not being applicable nor capable o reasonable <br /> development. <br /> 2. The PAO utilizes shorter lives, based upon its own market research, as compared to ' <br /> DOR provided lives and/or ASA developed lives. <br /> 3. The PAO astutely indicates that the Cost A. 'roach does not consider either functional <br /> or economic obsolescence, nor did it apply - +d:itional depreciation factors in this regard. <br /> 4. Depreciation factors are based upon the Marshall Valuation Service age/life table, <br /> considered by the appraisal industry as being a reasonable indication of"installed" <br /> remaining value. <br /> 5. Neither functional obsolescence nor economic obsolescence factors, prior to <br /> addressing Covid-19 issues, were developed. <br /> 6. The PAO did not address any possible economic obsolescence effect of the Covid-19 <br /> pandemic, other than offering information concerning how the State of Florida dealt with <br /> such issues. <br /> 7. Overall, the value information developed by the PAO is considered reasonably <br /> persuasive <br /> The Petitioner presented evidence relating to the values without consideration of the <br /> Covid-19 pandemic, as well as considering the possible level of economic obsolescence <br /> resulting from the pandemic. Key elements of this consideration are as follows: <br /> I. The Petitioner states that the PAO analysis does not include all forms of depreciation. <br /> However, the PAO does state in its evidence that neither functional obsolescence or <br /> economic obsolescence has been applied in its analysis. <br /> 2. The Petitioner extensively relates valuation information from a number of respected <br /> sources (as previously noted). Such information is considered generally reasonable <br /> "guidance" within the profession. <br /> 3. The Petitioner applies its essentially straight-line age/life factors, as compared to the <br /> age/life curve utilized by the PAO, the latter PAO factors being considered to more <br /> appropriately reflect physical deterioration of installed tangible property. <br /> 4. The Petitioner relies heavily upon information provided by PTRS, an independent <br /> consulting firm, for its development of its age/life factors, as well as Remaining <br /> Obsolescence Factors. However, there is not clearly provided or sufficient asset detail <br /> information in this regard. <br /> 5. Relating to the possible effect of Covid-19 causing additional economic obsolescence, <br /> the Petitioner's information is not acceptably developed. As has been noted the PAO <br /> requested from Buckhead Beef(not its parent Sysco) detailed financial and production <br /> information in this regard. Such requested data was not provided. Further, the PAO <br /> requested access to the facility, but such access was denied. Lastly, and of significant <br /> 2021-00208 Page 6 of 7 <br /> - 138- <br />
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