Leogrande v. Tax Appeals TribunalLeogrande v. Tax Appeals Tribunal
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 an income tax assessment imposed under Tax Law article 22.
Petitioner thereafter filed a petition for redetermination. Following a hearing, an Administrative Law Judge (hereinafter AU) concluded that the deficiency assessment was without a rational basis and required annulment. Respondent Tax Appeals Tribunal (hereinafter respondent) reversed the ALJ’s determination and reinstated the notice of deficiency. This CPLR article 78 proceeding ensued.
Respondent’s determination should be confirmed. At the hearing before the AU, petitioner claimed that there was "no basis” for the estimations used by the Department of Taxation and Finance. However, petitioner submitted no evidence or testimony in support of his contention, and therefore failed to sustain his burden of proving by clear and convincing evidence that the deficiency assessment and the method used to arrive at the assessment were erroneous (see, Matter of Gun Hill Plumbing Supply Co. v Chu,
Mercure, Mahoney, Casey and Harvey, JJ., concur. Adjudged that the determination is confirmed, without costs, and petition dismissed.