Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
Legislative Auditor’s Conclusion:
Property tax exemptions for nonprofit hospitals and cancer clinics
meet the inferred intent of encouraging charity care and community benefits.
Beneficiaries provide 99% of charity care statewide, and the value of charity care
exceeds tax savings.
November 2022
Executive Summary
Tax exemptions for nonprofit hospitals and nonprofit cancer clinics
Washington has two property tax exemptions for nonprofit hospitals and nonprofit
cancer clinics.
Under RCW 84.36.040(1)(e), nonprofit hospitals are exempt from property tax on real
and personal property. This preference predates statehood and has no expiration
date.
Under RCW 84.36.046, nonprofit cancer clinics are exempt from property tax on real
and personal property if they are affiliated with a nonprofit hospital or formed by
a municipal hospital corporation. This preference was enacted in 1997 and has no
expiration date.
Real property generally includes hospital land, buildings, and other structures.
Personal property includes medical equipment, hospital beds, and office equipment.
In 2019, the most recent year for which data is available, 94 beneficiaries saved $93.1
million in property taxes with the exemptions. JLARC staff estimate beneficiary savings
of $259.4 million in the 2023-2025 biennium. Because of the state's budget-based
property tax system, elimination of the preferences would result in a shift of tax
burden between property owners, but would not increase revenues.
Inferred objective to encourage charity care and other community benefits
The Legislature did not specify public policy objectives for these preferences. JLARC
staff infer the preferences are intended to support the provision of charity care and
other community benefits. Charity care is medical care for which payment is not
expected and patients are not billed. Other community benefits include the difference
between a state's Medicaid payment rates and hospitals' costs for serving Medicaid
patients, and providing education and research programs.
Beneficiaries provide charity care valued at more than three times the value of tax
savings received through the preferences. Beneficiaries may also receive other
preferential tax treatment at the state and federal level.
Objectives (inferred)
Results
Support the provision of charity care and other community benefits by
nonprofit hospitals and cancer clinics.
Met. Beneficiaries provided over $336 million in charity care in 2019,
accounting for more than 99% of all charity care statewide.
Recommendations
Legislative Auditor's Recommendation: Clarify
The Legislature should clarify the objectives of the preferences by including
performance statements. Both preferences were enacted before the Legislature required
a performance statement for new tax preferences. There are no explicitly stated public
policy objectives for the tax preferences in statute.
If the tax preferences are intended to support certain outcomes, the Legislature
should clarify its expectations by adding performance statements that clearly state
the public policy objectives and metrics to determine if the objectives have been
met.
Endorse the Legislative Auditor recommendation with comment. The preference has no
expiration date, but it should be continued with clarification. The Legislature should
state public policy objectives and metrics so the intent and performance of this
preference can be more easily measured in future reviews. The nonprofit hospitals and
cancer centers provide essential charity care to vulnerable populations in our state,
and metrics would assist them in demonstrating the value of the service they provide
to our state and communities.
Committee Action to Distribute Report
On November 30, 2022 this report was approved for distribution by the Joint
Legislative Audit and Review Committee.
Action to distribute this report does not imply the Committee agrees or disagrees
with the Legislative Auditor recommendations.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
REVIEW Details
1. Property tax exemptions for nonprofit hospitals and cancer clinics
Two preferences exempt nonprofit hospitals and cancer clinics
from tax on real and personal property
This report reviews two property tax exemptions for health care facilities: one for
nonprofit hospitals (RCW 84.36.040(1)(e)), and one for nonprofit cancer clinics (RCW
84.36.046). Both preferences exempt eligible beneficiaries from tax on real and personal propertyReal property
generally includes hospital land, buildings, and other structures. Personal
property includes medical equipment, hospital beds, and office equipment.
. Nonprofit cancer clinicsNonprofit cancer clinics are outpatient medical facilities
that provide cancer prevention, detection, and treatment services.
are only eligible for the preference if they are affiliated with a nonprofit hospital
or formed by a municipal hospital corporation. Both preferences are reviewed in this
report. JLARC previously reviewed the nonprofit hospital property tax exemption in 2007. In May 2021, the Citizen Commission directed JLARC staff to review
nonprofit hospitals along with nonprofit cancer clinics because of the formal
relationship that often exists between these entities.
Private nonprofit hospitals, public hospitals, and cancer clinics are exempt from
property tax
A property tax exemption for all hospitals existed in Washington prior to statehood.
In 1973, the Legislature limited the preference to only nonprofit hospitals as defined
in RCW 84.36.800.
Nonprofit hospitals provided over 94% of the state's available hospital beds in
fiscal year 2019. There are two types of nonprofit hospitals: private nonprofit hospitalsPrivate nonprofit hospitals
are owned and operated by a domestic nonprofit corporation. and
public hospitalsPublic hospitals are
hospitals built or owned by a county authority or a public hospital district
established by ballot referendum.. The property tax exemption in RCW
84.36.040 treats these two types of hospitals differently:
For private nonprofit hospitals, real and personal property used to provide
hospital services is exempt from property taxation.
For public hospitals, the exemption only applies to leased property. Property
owned directly by the public hospital is already exempt from property taxes under a
different preference (RCW 84.36.010).
Nonprofit cancer clinics affiliated with 501(c)(3) nonprofit hospitals or formed by a
municipal hospital corporation are eligible for a tax exemption on real and personal
property under RCW 84.36.046.
Preferences have no expiration date
The Legislature did not state public policy objectives for these preferences. Both
were enacted before the Legislature required performance statements for tax
preferences. JLARC staff infer a shared intent to support the provision of charity
care and other community benefits. See Section
3 for more details.
The hospital property tax exemption predates statehood, and was later limited to
nonprofit hospitals in 1973. The nonprofit cancer clinic preference took effect in
1997. Neither preference has an expiration date.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
REVIEW Details
2. Beneficiaries saved $93.1 million in FY 2019
Beneficiaries estimated to save $93.1 million in FY 2019
The tax preferences exempt private nonprofit hospitals and cancer clinics from paying
property tax on real and personal propertyReal property generally includes hospital land, buildings, and
other structures. Personal property includes medical equipment, hospital beds, and
office equipment.. Public hospitals are exempt from paying property
tax on leased property.
Beneficiary savings estimates are based on data from the Centers for Medicare and
Medicaid Services and the Department of Health
County assessors determine the value of property subject to taxation. State lawRCW 84.36.005 does
not require county assessors to value exempt personal property or exempt
publicly-owned real property every year. As a result, some hospitals have outdated
property tax assessments.
In the absence of current property valuations from county assessors, JLARC staff used
hospital-level data reported to the Centers for Medicare and Medicaid Services (CMS)
and the Department of Health (DOH) to determine the value of each hospital's real and
personal property:
For private nonprofit hospitals and cancer clinics, staff used CMS's Medicare
Cost Reports to determine the value of the property exempt from taxation.
For public hospitals, staff used lease expenses from annual reports submitted to
DOH.
Using local tax levy rates, JLARC staff determined the effective property tax rate
for each beneficiary hospital. The beneficiary savings is the amount hospitals would
have paid if their real and personal property were subject to property tax.
Collectively, 94 beneficiaries saved $93.1 million in fiscal year 2019, the most
recent year for which data is available. Staff estimate beneficiary savings of $259.4
million in the 2023-2025 biennium. Because of the state's budget-based property tax
system, elimination of the preferences would result in a shift of tax burden between
property owners, but would not increase revenues.
Exhibit 2.1: Beneficiaries estimated to save $259.4 million in the 2023-2025
biennium
Biennium
Fiscal Year
Estimated Beneficiary Savings
2017-2019
2019
$93,056,000
2019-2021
2020
$105,983,000
2019-2021
2021
$112,328,000
2021-2023
2022
$117,133,000
2021-2023
2023
$121,945,000
2023-2025
2024
$127,058,000
2023-2025
2025
$132,385,000
2023-2025 Biennium
$259,443,000
Source: JLARC staff analysis of 2019 data from the Centers for Medicare and Medicaid
Services and county assessors. Future beneficiary savings use Department of Revenue
data.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Review Details
3. Inferred intent to support charity care and community benefits
The inferred intent of the preferences is to support the
provision of charity care and other community benefits
Neither tax preference has a stated public policy objective.
Over time, the Legislature modified tax treatment and added charity care
requirements for all hospitals
Hospitals were exempt from property taxation prior to statehood. At the time of the
state's founding, hospitals typically served lower-income patients, while wealthier
patients received treatment at home. Today, hospitals serve patients of all economic
status.
IRS required provision of community benefits in 1969
The Internal Revenue Service (IRS) adopted a "community benefit standard" for
nonprofit hospitals in 1969. This requires each hospital to "demonstrate that it
operates to promote the health of a class of persons that is broad enough to benefit
the community."
In 1973, the Legislature restricted the hospital property tax preference to only
nonprofit hospitals. In 1991, the Legislature required all hospitals (nonprofit and
for profit) to provide charity careMedical care for which payment is not expected and patients are not
billed.. JLARC staff infer that these changes were intended to
encourage beneficiaries to provide community benefits, including charity care.
Legislature established nonprofit cancer clinic preference in 1997
In 1997, the Legislature enacted the property tax exemption for nonprofit cancer
clinics. Beneficiaries must be affiliated with a 501(c)(3) nonprofit hospital or
formed by a municipal hospital corporation. Due to this requirement, JLARC staff infer
that this preference is also intended to encourage those beneficiaries to provide
community benefits and charity care.
Exhibit 3.1: The Legislature modified tax treatment and added requirements for
hospitals
Source: JLARC staff analysis of statutory history.
Beneficiary hospitals provide different services than non-beneficiary hospitals
Beneficiaries are nonprofit hospitals that typically provide general and primary
medical care. Non-beneficiaries include private, for-profit hospitals, which typically
provide specific services. For example, non-beneficiaries include most of the state's
psychiatric hospitals.
Non-beneficiary hospitals represent the minority of hospitals in the state and
provided less than 6% of available beds in fiscal year 2019.
Exhibit 3.2: Washington's beneficiary and non-beneficiary hospitals provide
different medical services
CMS Hospital Category
Beneficiaries
Non-beneficiaries
Children's hospitals
3
0
Long-term hospitals
1
1
Psychiatric hospitals
2
8
Rehabilitation hospitals
1
1
Critical access hospitals (CAH), or rural primary care hospitals (RCPH)
39
0
Short-term (general and specialty) hospitals
48
1
Total
94
11
Source: JLARC staff analysis of Centers for Medicare and Medicaid Services (CMS)
Medicare Cost Report data.
Beneficiaries receive other preferential tax treatment
Beneficiaries receive other preferential treatment at the state and federal level.
For example:
Washington has a B&O tax preference for Medicare payments to public and
nonprofit hospitals. The Department of Revenue estimates that beneficiaries saved
$166 million with this preference in fiscal year 2020.
At the federal level, nonprofit hospitals are exempt from corporate income tax,
issue tax-exempt bonds, and receive tax-deductible charitable contributions.
These additional preferences for nonprofit hospitals may also contribute to
encouraging beneficiaries' provision of charity care and community benefits.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Review Details
4. Value of charity care exceeds tax savings
Beneficiaries provide charity care worth more than three times
the value of their property tax savings
RCW 70.170.020 defines charity care as “medically necessary hospital health care
rendered to indigent persons when third-party coverage, if any, has been exhausted, to
the extent that the persons are unable to pay for the care or to pay deductibles or
coinsurance amounts required by a third-party payer, as determined by the departmentDepartment of
Health.” Consequently, charity care is medical care for which payment
is not expected and patients are not billed.
JLARC staff reviewed data from the Centers for Medicare and Medicaid Services (CMS)
and the Department of Health (DOH) and found that the value of charity care that
beneficiaries provide is more than three times the amount of their tax savings.
Hospitals are required to provide charity care and community benefits
Nonprofit hospitals are required to provide charity care and other community
benefits.
Washington required all hospitals, regardless of ownership type, to provide
charity care to patients meeting certain income-based federal
povertyBeginning June 2022, hospitals must meet
charity care standards that depend upon the characteristics of the hospital.
Larger hospitals must provide charity care for the full amount for patients at
or under 300% of the federal poverty line, and discounted charity care for
patients between 301% and 400% of the federal poverty line. Smaller hospitals
must provide charity care for the full amount for patients at or under 200% of
the federal poverty line, and discounted charity care for patients between 201%
and 300% of the federal poverty line. criteria beginning in 1991.
The Internal Revenue Service (IRS) required nonprofit hospitals to provide
community benefits, including charity care, in 1969.
The IRS does not define community benefits, but identifies multiple examples,
including:
Operating an emergency room open to all, regardless of ability to pay.
Maintaining a board of directors drawn from the community.
Providing hospital care for all patients able to pay, including those who pay
their bills through public programs such as Medicaid and Medicare.
Using surplus funds to improve facilities, equipment, and patient care.
Using surplus funds to advance medical training, education, and research.
In 2019, 91% of beneficiaries provided charity care worth more than their tax
savings
JLARC staff compared the value of beneficiary tax savings and the value of charity
care provided in 2019, the most recent year for which data is available.
Hospital data reported to DOH and CMS indicates that beneficiary hospitals provided
approximately $336 million in charity care in 2019. This accounts for 99.5% of charity
care provided by all Washington hospitals. Of the 94 beneficiary hospitals and cancer
clinics, 86 (91%) reported providing charity care worth more than their estimated
beneficiary savings. For comparison, the savings for all beneficiaries in 2019 were
$93.1 million.
New reporting requirement may provide more information about community benefits
JLARC staff reviewed data reported to DOH and CMS to try to estimate the value of
community benefits beyond charity care. However, information in those reports was not
sufficient to allow JLARC staff to determine the full value of all community benefits
that beneficiaries provide.
While the full amount of community benefits could not be quantified, reports to DOH
and CMS included insight into some areas, such as:
Services to Medicaid patients. The Medicaid shortfall is the difference between a
state's Medicaid payment rates and hospitals' costs for serving Medicaid patients.
An August 2020 report by the Office of Financial Management found that after passage
and implementation of the Affordable Care Act (including Medicaid expansion), the
total amount of charity care provided by Washington hospitals decreased, while the
amount of the Medicaid shortfall increased. In fiscal year 2019, the estimated
Medicaid shortfall among beneficiaries was $1.4 billion.
Services to patients under other programs with income eligibility requirements,
such as the Children’s Health Insurance Program (CHIP). The estimated value of
unreimbursed costs under these programs is $484,000.
Medical training, education, and research programs. The total estimated cost of
interns and research in fiscal year 2019 is $276 million.
The 2021 Legislature required most private nonprofit hospitals to report information
about community benefits (E2SHB 1272). Beginning in 2023, hospitals will describe how
their activities address community needs and identify outcome metrics. This future
information may provide greater insight into the full value of community benefits
outside of charity care.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Review Details
5. Applicable statutes
RCW 84.36.040(1)(e), RCW 84.36.046
Nonprofit child day care centers, libraries, orphanages, homes or hospitals for the
sick or infirm, outpatient dialysis facilities
RCW 84.36.040(1)(e)
(1) The real and personal property used by, and
for the purposes of, the following nonprofit organizations is exempt from property
taxation:
(a) Child day care centers as defined in subsection (4) of this section;
(b) Free public libraries;
(c) Orphanages and orphan asylums;
(d) Homes for the sick or infirm;
(e) Hospitals for the sick; and
(f) Outpatient dialysis facilities.
(2) The real and personal property leased to and
used by a hospital for hospital purposes is exempt from property taxation if the
hospital is established under chapter 36.62 RCW or is owned and operated by a public
hospital district established under chapter 70.44 RCW.
(3) To be exempt under this section, the property must be used exclusively for the
purposes for which exemption is granted, except as provided in RCW 84.36.805, and the
benefit of the exemption must inure to the user.
(4) For purposes of subsection (1) of this section, "child day care center" means a
nonprofit organization that regularly provides child day care and early learning
services for a group of children for periods of less than twenty-four hours.
Nonprofit cancer clinic or center
RCW 84.36.046
(1) All real or personal property owned or used by a nonprofit organization,
corporation, or association in connection with a nonprofit cancer clinic or center shall
be exempt from taxation if all of the following conditions are met:
(a) The nonprofit cancer clinic or center must be comprised of or have been formed by
an organization, corporation, or association qualified for exemption under section
501(c)(3) of the internal revenue code of 1986 (26 U.S.C. Sec. 501(c)(3)), by a
municipal hospital corporation, or by both;
(b) The nonprofit organization, corporation, or association operating the nonprofit
clinic or center and applying for the exemption must be qualified for exemption under
section 501(c)(3) of the internal revenue code of 1986 (26 U.S.C. Sec. 501(c)(3)); and
(c) The property must be used primarily in connection with the prevention, detection,
and treatment of cancer, except as provided in RCW 84.36.805.
(2)(a) As used in this section, "nonprofit cancer clinic or center" means a medical
facility operated:
(i) By a nonprofit organization, corporation, or association associated with a
nonprofit hospital or group of nonprofit hospitals, by a municipal hospital corporation,
or by both; and
(ii) For the primary purpose of preventing and detecting cancer and treating cancer
patients.
(b) For the purposes of this subsection, "primary purpose" means that at least
fifty-one percent of the patients who receive treatment at the clinic or center do so
because they have been diagnosed as having cancer. In carrying out its primary purpose,
the nonprofit cancer clinic or center provides any combination of radiation therapy,
chemotherapy, and ancillary services, directly related to the prevention, detection, and
treatment of cancer. These ancillary services include, but are not limited to, patient
screening, case management, counseling, and access to a tumor registry.
(3) The exemption also applies to administrative offices located within the nonprofit
cancer clinic or center that are used exclusively in conjunction with the cancer
treatment services provided by the nonprofit cancer clinic or center.
(4) If the real or personal property for which exemption is sought is leased, the
benefit of the exemption must inure to the nonprofit cancer clinic or center.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Recommendations & Responses
Legislative Auditor's Recommendation
Legislative Auditor's Recommendation: Clarify
The Legislature should clarify the objectives of the preferences by including
performance statements. Both preferences were enacted before the Legislature required
a performance statement for new tax preferences. There are no explicitly stated public
policy objectives for the tax preferences in statute.
If the tax preferences are intended to support certain outcomes, the Legislature
should clarify its expectations by adding performance statements that clearly state
the public policy objectives and metrics to determine if the objectives have been
met.
Legislation Required: Yes
Fiscal Impact: Depends on legislation.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Recommendations & Responses
Letter from Commission Chair
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Recommendations & Responses
Commissioners' Recommendation
The Commission endorses the Legislative Auditor recommendation with comment. The
preference has no expiration date, but it should be continued with clarification. The
Legislature should state public policy objectives and metrics so the intent and
performance of this preference can be more easily measured in future reviews. The
nonprofit hospitals and cancer centers provide essential charity care to vulnerable
populations in our state, and metrics would assist them in demonstrating the value of
the service they provide to our state and communities.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Recommendations & Responses
DOR & OFM Response
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
Recommendations & Responses
DOH Response
The Department of Health (DOH) was given an opportunity to comment on this report, but did not respond.
22-05 Final Report: Property Tax Exemptions for Nonprofit Hospitals and Cancer
Clinics
November 2022
More about this review
Study questions
Click image to view PDF of proposed study questions.