Section 107.1 Of Chapter 1. Construction From California Revenue And Taxation Code >> Division 1. >> Part 1. >> Chapter 1.
107.1
. The full cash value of a possessory interest, when arising
out of a lease of exempt property, is the excess, if any, of the
value of the lease on the open market, as determined by the formula
contained in the case of De Luz Homes, Inc. v. County of San Diego
(1955), 45 Cal. 2d 546, over the present worth of the rentals under
said lease for the unexpired term thereof.
A possessory interest taxable under the provisions of this section
shall be assessed to the lessee on the same basis or percentage of
valuation employed as to other tangible property on the same roll.
This section applies only to possessory interests created prior to
the date on which the decision of the California Supreme Court in De
Luz Homes, Inc. v. County of San Diego (1955), 45 Cal. 2d 546,
became final. It does not, however, apply to any of such interests
created prior to that date that thereafter have been, or may
hereafter be, extended or renewed, irrespective of whether the
renewal or extension is provided for in the instrument creating the
interest.
This section does not apply to leasehold estates for the
production of gas, petroleum and other hydrocarbon substances from
beneath the surface of the earth, and other rights relating to such
substances which constitute incorporeal hereditaments or profits a
prendre.