VA P.D. 21-169 Individual Income Tax 2021-12-02

A federal Civil Service Retirement System (CSRS) retiree sued Virginia a second time over its tax treatment of his pension -- what happened, and does it help anyone else make the same argument?

Short answer: It was dismissed at trial before the court ever reached the merits. This is the bare Circuit Court of the City of Richmond Order in a federal Civil Service Retirement System (CSRS) retiree's second lawsuit against the Virginia Department of Taxation over its tax treatment of CSRS retirement income -- the same taxpayer who had already lost an earlier, similar Chesapeake Circuit Court lawsuit in 2015 (reported as P.D. 16-7), with the Supreme Court of Virginia later declining to hear his appeal of that loss. In this second case, at the close of the plaintiff's own evidence at trial, the Commonwealth moved to strike that evidence, the court granted the motion, and the complaint was dismissed outright -- meaning the court found the plaintiff hadn't even presented enough evidence to let the case proceed, without the court needing to reach a substantive ruling on the underlying tax-discrimination theory. As the Department's own later published ruling, P.D. 23-127, explains, this was the same taxpayer's second unsuccessful court challenge to this exact tax treatment.

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This page answers the general question as of 2021. Ezel answers yours, under current Virginia tax law, with citations.

Disclaimer: This page reproduces a bare Circuit Court Order (Karl E. Beisel v. Virginia Department of Taxation, et al., Circuit Court of the City of Richmond, Case No. CL 20-4185, entered December 2, 2021), which the Department itself republishes as a Public Document. This is a TRIAL-level procedural order, not an appellate opinion, and it contains no substantive legal analysis: it simply grants the Commonwealth's motion to strike the plaintiff's trial evidence and dismisses the complaint. It does not formally bind other courts as precedent. The Department's own later published ruling, P.D. 23-127 (11/30/2023), summarizes the litigation history behind this order and this taxpayer's related, earlier-litigated claim (P.D. 16-7); this page's plain-English summary draws on that companion ruling's grounded, verbatim account of the case background to explain what this order means, since the order itself states only the procedural outcome. This summary is informational only and is not legal or tax advice. Consult a licensed Virginia tax professional or attorney about your specific situation.
About this page: The plain-English summary, reader guidance, and Q&A below were written by Ezel based on the official state tax ruling. The original ruling (linked on this page as a PDF) is the authoritative source for any reliance.
View original ruling (PDF)

Plain-English summary

This "ruling" is actually just a short court order -- the Virginia Department of Taxation republishes it as a Public Document because it resolved litigation over Virginia's income tax treatment of federal Civil Service Retirement System (CSRS) income. The order itself is barely more than a paragraph: at trial in the Circuit Court of the City of Richmond, after the plaintiff (a CSRS retiree) presented his evidence, the Commonwealth moved to strike it, the court granted that motion, and the complaint was dismissed. No reasoning is given in the order for why the evidence was struck, and no substantive ruling is made on the merits of the plaintiff's tax argument.

To understand what this order was actually about, it helps to look at the Department's own later published ruling, P.D. 23-127 (issued 11/30/2023), which directly discusses this exact case and taxpayer. According to that ruling, this was the taxpayer's SECOND lawsuit challenging Virginia's tax treatment of CSRS retirees -- specifically, the argument that Virginia unlawfully discriminates against CSRS retirees because Virginia allows a subtraction for Social Security benefits but doesn't give CSRS retirees the same subtraction for their CSRS pension (CSRS retirees generally didn't pay into Social Security through their federal employment). The same taxpayer had already litigated this identical theory once before, in a 2015 Chesapeake Circuit Court case (reported as P.D. 16-7), which found no unlawful discrimination -- a ruling the Supreme Court of Virginia later declined to disturb on appeal, finding no reversible error. This second lawsuit, covering additional tax years, met the same fate: it was dismissed at trial, before the court needed to revisit the substantive discrimination question at all, because the Commonwealth successfully argued the plaintiff's own trial evidence didn't hold up.

The order lists three "Related Documents" (P.D. 16-7, 16-180, and 20-10) -- P.D. 16-7 is confirmed (via the companion ruling above) to be the taxpayer's first, substantively-decided Chesapeake case; the other two aren't yet part of this corpus, so their specific content isn't described here.

What this means for you

Federal CSRS retirees considering a legal challenge to Virginia's tax treatment of CSRS income

This same taxpayer tried this exact discrimination argument twice in Virginia courts and lost both times -- once on the merits (with the Supreme Court of Virginia declining to hear an appeal) and once on a procedural motion to strike his trial evidence. If you're weighing the same argument, know it has already been tested in Virginia's court system without success.

Anyone trying to understand a bare, reasoning-free court order republished as a Public Document

Not every "Public Document" on Virginia's rulings site is a Tax Commissioner determination letter with facts and analysis -- some are trial-level court orders that state only a procedural outcome. When that happens, checking the Department's OTHER published rulings that reference the same case (here, P.D. 23-127) can supply the missing context, since Virginia doesn't always republish the full trial record alongside a bare order like this one.

Common questions

Q: Did the court in this order actually decide whether Virginia's tax treatment of CSRS retirees is discriminatory?
A: No. The order dismissed the case on a motion to strike the plaintiff's trial evidence, without the court needing to reach or decide the underlying discrimination argument.

Q: Is this the same taxpayer's first lawsuit on this issue?
A: No -- according to the Department's companion ruling P.D. 23-127, this was his SECOND lawsuit. His first, in 2015 in Chesapeake Circuit Court, was decided on the merits against him (reported as P.D. 16-7), and the Supreme Court of Virginia declined to hear his appeal of that decision.

Q: Does a trial-level circuit court order like this bind other Virginia courts or taxpayers?
A: No. It's a single circuit court's order in one case, not an appellate decision, so it doesn't formally bind other courts as precedent -- though it is part of the litigation history the Department has since cited in explaining why it denies similar refund claims from the same taxpayer.

Citations and references

  • P.D. 16-7 (2/23/2016) (this taxpayer's earlier, substantively-decided Chesapeake Circuit Court case rejecting the same CSRS-discrimination argument, per the Department's companion ruling P.D. 23-127)
  • P.D. 23-127 (11/30/2023) (the Department's own later ruling summarizing this order's background and the taxpayer's full litigation history on this issue)

Subject

Subtraction : Civil Service Retirement Income

Source

Original ruling text

VIRGINIA: IN THE CIRCUIT COURT OF THE CITY OF RICHMOND, JOHN MARSHALL COURTS BUILDING

KARL E. BEISEL,

Plaintiff,

v.

VIRGINIA DEPARTMENT OF TAXATION,

et. al.,

Defendant.

Case No.: CL 20-4185

ORDER

The parties appeared this 10th day of November for trial on the issues joined. At the conclusion of Plaintiff’s evidence, the defendants moved that his evidence be stricken.

Having heard the arguments on the Motion to Strike, the Court is of the opinion that the Motion be sustained.

It is, therefore, ORDERED that the Complaint is DISMISSED.

A copy of this Order shall be mailed to counsel of record.

Entered 12/2/21

Theodore J. Markow

Judge

Related Documents

16-7

16-180

20-10

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