The plaintiff further alleges that the tax was illegal, manifestly excessive and arrived at by disregarding the applicable provisions of the General Statutes claiming that the defendant improperly computed the holding period; that the 10-year holding period had passed CT Page 10176 prior to the sale of the premises; that the defendant used incorrect acquisition and classification dates to compute the taxes; and that the defendant disregarded the provisions of General Statutes §
On April 18, 1996, the defendant filed a motion to dismiss the plaintiffs appeal claiming that the court lacks subject matter jurisdiction because the plaintiff did not appeal to the Monroe Board of Assessment Appeals as required by statute. The plaintiff filed a memorandum in opposition to the defendant's motion on April 26, 1996, and oral argument was thereafter heard by this court on July 15, 1996.
The defendant's contention is that General Statutes §
"A motion to dismiss . . . `properly attacks the jurisdiction of the court, essentially asserting that the plaintiffcannot as a matter of law and fact state a cause of action that should be heard by the court.'" (Emphasis in original.) Gurliacci v. Mayer,
"Appeals to courts from administrative agencies exist only under statutory authority . . . A statutory right to appeal may be taken advantage of only by strict compliance with the statutory provisions by which it is created . . . Such provisions are mandatory, and, if CT Page 10177 not complied with, the appeal is subject to dismissal . . . Dismissal is required in such a situation because, if the appellant lacks standing to appeal the case, the court lacks jurisdiction to hear the appeal . . . A jurisdictional defect may be brought to the attention of the court at any time, and, if the court lacks jurisdiction, it must dismiss the case either on the motion of a party or on its own motion." (Citations omitted, internal quotation marks omitted.) Office ofConsumer Counsel v. Department of Public Utility Control,
General Statutes §
The plaintiff alleges that his property was assessed, and the tax collected under General Statutes §
In the present case the plaintiff contends that the defendant did not properly compute the proper holding period of the property, or use the correct acquisition or classification dates. Additionally, the plaintiff alleges that the defendant disregarded the provision of General Statutes § 52-504c which provides for certain excepted transfers. Accordingly, the plaintiff's allegations put more than mere valuation in issue. Thus the plaintiffs direct appeal to this court pursuant to §
"Where a decision as to whether the court has subject matter jurisdiction is required, every presumption favoring jurisdiction should be indulged." (Internal quotation marks omitted.) Clement v. Clement,
The Motion to Dismiss is denied.
RONAN, J. CT Page 10179
