Center Moriches Monument Co. v. Commissioner of Taxation & FinanceCenter Moriches Monument Co. v. Commissioner of Taxation & Finance
Proceeding pursuant to CPLR article 78 (initiated in this Court pursuant to Tax Law § 2016) to review a determination of respondent Tax Appeals Tribunal which sustained a sales and use tax assessment imposed under Tax Law articles 28 and 29.
By this proceeding, petitioner challenges a determination of respondent Tax Appeals Tribunal partially sustaining a notice of determination and demand for payment of sales and use taxes for the period March 1, 1977 through April 30, 1987, and interest and penalties thereon. The issues raised by petitioner lack merit and we accordingly confirm. Initially, we reject the contention that because of the untimely answer by the Audit Division of the Department of Taxation and Finance, the Tax Appeals Tribunal was required to grant petitioner’s motion for a default determination of its petition for administrative review of the assessments. It appears that the Audit Division’s default was at least partially the result of confusion engendered by the procedure employed by petitioner, wherein it paid the assessment prior to either requesting a hearing or filing a petition and subsequently failed to apply for a refund. Further, in a case, as here, where a regulatory time limit is merely directory (see, 20 NYCRR 3000.3 [c]; 3000.4 [a] [1], [4]; Matter of Sarkisian Bros. v State Div. of Human Rights,
Next, petitioner having failed to maintain accurate records (see, Tax Law § 1135), the Audit Division was entitled to "select a method reasonably accurate to assess the taxes due” (Matter of Manno v State of N. Y. Tax Commn.,
We have considered and rejected petitioner’s remaining contentions.
Cardona, P. J., White, Casey and Peters, JJ., concur. Adjudged that the determination is confirmed, without costs, and petition dismissed.