This is a proceeding pursuant to CPLR article 78 to review a determination of the State Tax Commission made after a hearing that a refund claim for the year 1961 should be denied and that deficiencies exist for the years 1965 and 1966.
The instant proceeding results from a determination by the respondent denying the petitioners a net operating loss carry-back or carry-over for the years 1961, 1965 and 1966. The respondent’s denial is premised on the proposition that a nonresident taxpayer who reports his New York income on a separate accounting basis may not claim a net operating loss deduction by way of carry-over, carry-back or otherwise when his Federal income tax return does not reflect an actual net operating loss (Tax Law, § 632, subd [b], par [3] and regulations promulgated thereunder). Petitioners contend that respondent’s position allocates income and not losses and, there
While the construction given statutes and regulations by an agency responsible for their administration, if not irrational or unreasonable, should be upheld (Matter of Howard v Wyman,
The determination should be annulled, with costs; the petition should be granted and the matter remitted for further proceedings not inconsistent herewith.
Herlihy, P. J., Greenblott, Main and Larkin, JJ., concur.
Determination annulled, with costs; petition granted and
