The sole question is whether the May 28, 1975, dismissal by the Board of Tax Appeals, based upon failure of the taxpayer to invoke jurisdiction of such board, was unreasonable or unlawful.
Fineberg v. Kosydar (1975),
The board’s conclusion, after hearing, that such notice of appeal was not timely filed, effectively rejects appellant’s contention that the letter from the Department of Taxation of February 28, 1975, constitutes the final order from which an appeal may be taken. Such conclusion of the board is supported by the record, by the absence of any reconsideration provision in E. C. 5717.02, and by Hileman v. Evatt (1943),
For reason of the foregoing, the decision of the Board of Tax Appeals is affirmed.
Decision affirmed.
