Ins. Commissioner of State of Delaware v. Sun Life Assurance Co. of Canada

by
Appellant filed requests with appellee for refunds of taxes that appellant paid on premiums derived from certain life insurance policies, for tax years 2001 to 2003. The Delaware Insurance Commissioner ("Commissioner") denied appellant's request on the basis that appellant could not aggregate the premium income from those insurance policies into one unitary "case" for tax purposes under section 702 of the Delaware Insurance Code. At issue on appeal was the meaning of the term "case," which appeared in section 702. The court held that the plain meaning of section 702(c)(2)b, both pre- and post-amendment, was that the premiums received from insurance policies could be aggregated into one "case" only if those policies were issued through the same private placement memorandum. Therefore, appellant could not aggregate the seven insurance policies that were issued via separate private placements into one "case."