Stevenson v. New York State Tax Appeals Tribunal

106 A.D.3d 1146, 964 N.Y.S.2d 707

This text of 106 A.D.3d 1146 (Stevenson v. New York State Tax Appeals Tribunal) is published on Counsel Stack Legal Research, covering Appellate Division of the Supreme Court of the State of New York primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Stevenson v. New York State Tax Appeals Tribunal, 106 A.D.3d 1146, 964 N.Y.S.2d 707 (N.Y. Ct. App. 2013).

Opinion

McCarthy, J.

Proceeding pursuant to CPLR article 78 (initiated in this Court pursuant to Tax Law § 2016) to review a deter-[1147]*1147mi nation of respondent Tax Appeals Tribunal which sustained notices of deficiency of personal income tax imposed under Tax Law article 22.

Milton F. Stevenson (hereinafter decedent) was the majority shareholder of Anoplate Corporation, which was certified pursuant to General Municipal Law article 18-B as a Qualified Empire Zone Enterprise (hereinafter QEZE). The corporation owned five parcels of property in the Onondaga County Sanitary District. Having elected to be treated as an S corporation, Anoplate’s tax credits flowed through its shareholders (see Internal Revenue Code [26 USC] § 1366; Tax Law § 660), permitting decedent and petitioner, his wife, to claim decedent’s proportionate share of Anoplate’s refundable QEZE credit when jointly filing their state resident personal income tax returns for the years 2004, 2005 and 2006. Although the claimed refunds were initially issued, the Department of Taxation and Finance conducted an audit and issued notices of deficiency equal to the amounts of credit claimed for, among other things, sanitary unit charges.

Petitioner

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Bluebook (online)
106 A.D.3d 1146, 964 N.Y.S.2d 707, Counsel Stack Legal Research, https://law.counselstack.com/opinion/stevenson-v-new-york-state-tax-appeals-tribunal-nyappdiv-2013.