OCSBIG, Corp. v. Dir., Div. of Taxation

New Jersey Tax Court·Decided August 6, 2026·No. 000066-2025·Unpublished

Opinion

TAX COURT OF NEW JERSEY

JOSHUA D. NOVIN Dr. Martin Luther King, Jr. Justice Building Judge 495 Dr. Martin Luther King, Jr. Blvd., 4th Floor Newark, New Jersey 07102

Tel: (609) 815-2922, Ext. 54680

NOT FOR PUBLICATION WITHOUT THE APPROVAL OF THE TAX COURT COMMITTEE ON OPINIONS

August 5, 2026

Jay J. Freireich, Esq. Ruth R. Stein, Esq. Freireich LLC 23 Vreeland Road Florham Park, New Jersey 07932

Deputy Attorney General Judith M. O’Malley New Jersey Division of Law R.J. Hughes Justice Complex P.O. Box 106 Trenton, New Jersey 08625-0106

Re: OCSBIG, Corp. v. Dir., Div. of Taxation Docket No. 000066-2025

Dear Mr. Freireich, Ms. Stein, and Deputy Attorney General O’Malley:

This letter shall constitute the court’s opinion on the Director, Division of Taxation’s (“Director”), motion for summary judgment, and plaintiff, OCSBIG, Corp.’s (“plaintiff” or “OCSBIG”), cross-motion for summary judgment. At issue under these motions is (i) the timeliness of plaintiff’s complaint and the court’s subject matter jurisdiction under R. 8:4-1(b), N.J.S.A. 54A:9-10(a), and N.J.S.A. 54:51A-14; and (ii) whether plaintiff’s sole shareholder had standing to and thus, asserted a claims for the plaintiff under a separate and distinct complaint. 1 For the reasons explained below, the court grants the Director’s motion for summary judgment and denies plaintiff’s cross-motion for summary judgment.

1 In its cross-motion, plaintiff initially contested the timeliness of the Director’s tax assessments, under N.J.S.A. 54:49-6(b), and sought summary judgment, striking any “alleged tax liabilities assessed more than four years prior” to the Notice of Assessment. However, during oral argument plaintiff withdrew those claims for relief.

Docket No. 000066-2025 Page -2-

I. Findings of Fact and Procedural History Pursuant to R. 1:7-4, the court makes the following findings of fact based on the submissions of the parties and its review of the pleadings.

Plaintiff operated Dino’s Palace, a Gentlemen’s Club serving alcoholic beverages at 691 Main Avenue, Passaic, New Jersey. David Fontanella (“Fontanella”) was the sole shareholder and a corporate officer of the plaintiff. Fontanella oversaw plaintiff’s day-to-day operations and financial affairs until the closure of Dino’s Palace in 2017.

On or about March 17, 2020, following an audit of plaintiff’s tax returns, the Director issued plaintiff a Notice of Assessment (“Notice of Assessment”) asserting outstanding Corporate Business Tax (“CBT”) liabilities, for the tax periods 1/2013 to 12/2016, in the sum of $235,638.39; Gross Income Tax – Employer Withholding (“GIT-ER”) liabilities, for the tax periods 1/2014 to 12/2016, in the sum of $7,799.52; and Sales and Use Tax (“SUT”) liabilities, for the tax periods 7/2013 to 6/2017, in the sum of $254,127.71. 2 On or about May 13, 2020, the Director received a Form M-5008-R, Appointment of Taxpayer Representative, for the plaintiff (“Appointment of Representative Form”). The Appointment of Representative Form designated Frank Agostino, Esq. and Jeffrey Dirmann, Esq., both of Agostino & Associates, P.C. (“Agostino & Associates”), as plaintiff’s “taxpayer representative” for “[a]ll tax matters.” The Appointment of Representative Form authorized the taxpayer representatives to “receive and inspect confidential tax records” and afforded them “full power to act with respect to the tax matters described [therein], and to do and perform all such acts as [taxpayer] could do or perform.” The Appointment of Representative Form was signed by

2 On March 17, 2020, the Director issued Fontanella a Notice of Finding of Responsible Person Status (“Responsible Person Notice”).

Docket No. 000066-2025 Page -3-

Fontanella as the plaintiff’s “owner.”

On or about June 12, 2020, Agostino & Associates timely filed a written protest of the Notice of Assessment against plaintiff with the Director’s Conference and Appeals Branch (“CAB”). 3 The protest contested the Director’s audit’s findings.

On or about March 11, 2022, a conference was conducted between CAB and Agostino & Associates regarding the Notice of Assessment. 4 On June 6, 2022, the Director issued plaintiff a Final Determination (the “Final Determination letter”). The Final Determination letter upheld the Director’s audit finding that “[t]he taxpayer did not substantiate its contentions.” 5 The Final Determination letter recites that it was sent “CERTIFIED MAIL R.R.R.” and contains United States Postal Service tracking number 7190 1129 1810 0847 0537. The Final Determination letter was addressed as follows:

OCSBIG, Corp.

c/o David Fontanella

14 Twain Place

Clifton, NJ 07013-1830

The bottom of the Final Determination letter reveals that a copy was reportedly forwarded to “Jeff Dirmann, Esq.” of Agostino & Associates by “CERTIFIED MAIL, R.R.R. 7190 1129 1810 0847 0568.” 6 It is undisputed that, as of June 2022, Fontanella resided at 14 Twain Place, Clifton, New

3 On or about June 12, 2020, Agostino & Associates also timely filed a written protest of the Director’s Responsible Person Notice on behalf of Fontanella with CAB. 4 The CAB conference also addressed the Responsible Person Notice issued to Fontanella. 5 On June 6, 2022, the Director issued Fontanella a Final Determination letter finding that he “is a responsible person for the Trust Fund Tax liabilities of OCSBIG, Corp.” (“RP Final Determination letter”). The RP Final Determination letter identified eleven reasons that led the Director to conclude Fontanella is a responsible person for plaintiff. 6 The Director offered no evidence that the Final Determination letter sent to “Jeff Dirmann, Esq.” was received by Agostino & Associates.

Docket No. 000066-2025 Page -4-

Jersey 07013.

On September 1, 2022, Fontanella filed a complaint with the Tax Court contesting the Responsible Person Notice. That complaint was assigned docket number 010172-2022 (the “Fontanella Responsible Person Complaint”).

On September 27, 2022, Jeffrey Dirmann, Esq. emailed Kathleen I. Schwehm, the CAB Conferee stating: “I received your voicemail. I have only received the RP Notice. Can you please email me a copy of any other notices that were issued?”

On October 14, 2022 at 12:52 p.m., Kathleen I. Schwehm emailed Jeffrey Dirmann, Esq.

stating that: “I apologize for the late response – I have been out sick and am just catching up. Attached please find the FD [Final Determination] for the business [OCSBIG] as requested.”

On October 14, 2022 at 1:38 p.m., Jeffrey Dirmann, Esq. emailed Kathleen I. Schwehm stating that: “Can you please send me copies of the certified mail receipts?”

On October 14, 2022 at 1:44 p.m., Kathleen I. Schwehm emailed Jeffrey Dirmann, Esq.

stating that: “I plugged the numbers in on the USPS website for tracking and they show that they were delivered. I don’t have the file anymore so I will request the signed delivery cards from the mailroom and get them to you as soon as I receive them.”

On or about October 14, 2022, Jeffrey Dirmann, Esq. sent a responsive email to Kathleen I. Schwehm stating, “Thanks.”

On January 13, 2025, plaintiff filed a complaint with the Tax Court contesting the Final Determination letter and the CBT, GIT-ER, and SUT liabilities assessed under the Notice of Assessment.

On January 24, 2025, the Director moved for summary judgment against Fontanella under the Fontanella Responsible Person Complaint. The motion sought entry of an order finding

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