Moore v. Commissioner of Taxation & FinanceMoore 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.
In November 1995, the Department of Taxation and Finance
We confirm. The deadline to request a conciliation conference or petition for redetermination of a notice of determination assessing sales and use taxes is 90 days from the mailing of the notice of determination (see Tax Law § 1138 [a] [1]). While petitioner argues that he did not receive the notice of determination, the mailing of the notice creates a rebuttable presumption that the notice was received (see Tax Law § 1147 [a] [1]; Matter of Roebling Liqs. v Commissioner of Taxation & Fin.,
Cardona, PJ., Peters, Mugglin and Kane, JJ., concur. Adjudged that the determination is confirmed, without costs, and petition dismissed.