Nebraska Statutes

§ 77-2793 — Claim for credit or refund; limitation

Nebraska § 77-2793
JurisdictionNebraska
Ch. 77Revenue and Taxation

This text of Nebraska § 77-2793 (Claim for credit or refund; limitation) is published on Counsel Stack Legal Research, covering Nebraska primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Neb. Rev. Stat. § 77-2793 (2026).

Text

(1)A claim for credit or refund of an overpayment of any income tax imposed by the Nebraska Revenue Act of 1967 shall be filed by the taxpayer within three years from the time the return was filed or two years from the time the tax was paid, whichever of such periods expires later. If there was no return filed by the taxpayer, a claim for credit or refund of a refundable credit shall be filed by the taxpayer within three years after the due date of the return for the year in which the refundable credit was allowable. No credit or refund shall be allowed or made after the expiration of the period of limitation prescribed in this subsection for the filing of a claim for credit or refund unless a claim for credit or refund is filed by the taxpayer within such period.
(2)If a claim for credi

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Related

Utelcom, Inc. v. Egr
653 N.W.2d 846 (Nebraska Supreme Court, 2002)
113 case citations
Livengood v. Nebraska State Patrol Retirement System
729 N.W.2d 55 (Nebraska Supreme Court, 2007)
68 case citations
Omaha Tribe of Indians v. William A. Peters
516 F.2d 133 (Eighth Circuit, 1975)
8 case citations
Boersma v. Karnes
417 N.W.2d 341 (Nebraska Supreme Court, 1988)
7 case citations

Legislative History

Source: Laws 1967, c. 487, § 93, p. 1614; Laws 1985, LB 273, § 66; Laws 1987, LB 773, § 26; Laws 1993, LB 345, § 70; Laws 2008, LB914, § 14; Laws 2014, LB851, § 13; Laws 2016, LB776, § 5. Annotations: Though this section provides a procedure by which a taxpayer may obtain a refund of overpayment of income taxes, it is exclusive and does not provide for class actions. Boersma v. Karnes, 227 Neb. 329, 417 N.W.2d 341 (1988). United States District Court had original jurisdiction of cases to enjoin collection of state tax on income earned by Indians on reservations notwithstanding availability of state remedy. Omaha Tribe of Indians v. Peters, 516 F.2d 133 (8th Cir. 1975).

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Bluebook (online)
Nebraska § 77-2793, Counsel Stack Legal Research, https://law.counselstack.com/statute/ne/77-2793.