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ACROSS SESSIONS
- Subject Index: Since 1995
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Developed and maintained by the Division of Legislative Automated Systems.
1997 SESSION
964628298Whereas, in March 1989, the United States Supreme Court ruled in Davis v. Michigan that the state's practice of taxing federal pensions while exempting state workers' pensions was unconstitutional; and
Whereas, the Commonwealth of Virginia was among 23 states faced with changing its income tax laws on retirement; and
Whereas, in an April 1989 Special Session, the General Assembly repealed the exemption for VRS retirement benefits so that the Commonwealth's federal and state retirees would be taxed equally; and
Whereas, the special session did not address the issue of refunding the taxes paid by federal retirees between 1985 and 1988, which prompted the filing of Harper v. Commonwealth of Virginia on May 31, 1989; and
Whereas, in an effort to bring closure to the case for all the parties involved, on July 8, 1994, the General Assembly set in motion the settlement process with regard to the Harper litigation by passing Senate Bill 2008; and
Whereas, Senate Bill 2008, which was signed into law on July 13, 1994, required the Department of Taxation to send tax overpayment notices to retirees and begin a public notification program on August 1, 1994; and
Whereas, November 1, 1994, was the deadline for all federal retirees to respond to the August 1, 1994, notice in order to preserve their rights to recover any Virginia taxes paid on federal retirement income for taxable years 1985 through 1988; and
Whereas, in an effort to provide relief for retired federal and military taxpayers who were denied participation in the settlement process established by Senate Bill 2008, the General Assembly in the 1995 Session enacted House Bill 1564 and Senate Bill 831, which were signed in to law on March 14, 1995; and
Whereas, House Bill 1564 and Senate Bill 831 provided that retired federal and military taxpayers who failed to provide necessary information or missed the applicable deadlines, due to circumstances beyond their control, could file the necessary forms or documents within the 60-day period following their enactment; and
Whereas, Sylvia P. Cyckevic is a federal retiree and was unlawfully taxed on her federal pension by the Commonwealth during the taxable years 1985 through 1988; and
Whereas, Sylvia P. Cyckevic received notice of a tax overpayment in the sum of $1,405 from the Department of Taxation; and
Whereas, Sylvia P. Cyckevic disputed the Department of Taxation's calculation of the amount of her overpayment, and submitted the documentation necessary for the recalculation of her tax overpayment to the Department of in a timely manner; and
Whereas, the Department of Taxation agreed to correct the amount of Sylvia P. Cyckevic's tax overpayment, and Sylvia P. Cyckevic received a settlement agreement form (FR5) from the Department of Taxation stating the corrected amount of her tax overpayment in December 1994; and
Whereas, Sylvia P. Cyckevic completed the form FR5 to accept the Department of Taxation's offer to settle her claim for the refund of Virginia income taxes paid on federal retirement income for an amount equal to 76.5459 percent of the amount of the overpayment; and
Whereas, Sylvia P. Cyckevic mailed the completed form FR5 to the Department of Taxation prior to the February 1, 1995, deadline; and
Whereas, Sylvia P. Cyckevic did not know that the Department of Taxation did not receive the form FR5, and consequently did not resubmit her form FR5 during the additional 60-day period established pursuant to House Bill 1564 and Senate Bill 831, which expired on May 15, 1995; and
Whereas, Sylvia P. Cyckevic has subsequently been informed by the Department of Taxation that she cannot participate in the settlement program because the Department of Taxation has no record of ever receiving her form FR5; and
Whereas, the amount of the tax overpayment made by Sylvia P. Cyckevic in the period 1985 through 1988 is $6,315.00, and the amount of the tax refund which Sylvia P. Cyckevic would have received if she had participated in the settlement program is $4,833.87; and
Whereas, Sylvia P. Cyckevic has no other means to obtain her tax refund, except by action of this body; now, therefore,
Be it enacted by the General Assembly of Virginia:
1. § 1. That there is hereby appropriated from the general fund of the state treasury the amount of $4,833.87, to be paid by check issued by the State Treasurer on warrant of the Comptroller to Sylvia P. Cyckevic, upon a release by her of all claims against the Commonwealth and its political subdivisions, agencies, instrumentalities, officers, or employees arising out of the aforesaid occurrence.