Opinion
2013-11-7
Ray W. Cruz, Samson Management, LLC, Rego Park, for petitioners. Eric T. Schneiderman, Attorney General, Albany (Owen W. Demuth of counsel), for Commissioner of Taxation and Finance, respondent.
Ray W. Cruz, Samson Management, LLC, Rego Park, for petitioners. Eric T. Schneiderman, Attorney General, Albany (Owen W. Demuth of counsel), for Commissioner of Taxation and Finance, respondent.
Before: Peters, P.J., Rose, Lahtinen and Egan Jr., JJ.
LAHTINEN, J.
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 denied petitioners' requests for additional interest on certain refunds of personal income tax imposed under Tax Law article 22.
We confirm the determination of respondent Tax Appeals Tribunal for the reasons set forth in Matter of Michael A. Goldstein No. 1 Trust v. Tax Appeals Trib. of the State of N.Y., 101 A.D.3d 1496, 957 N.Y.S.2d 433 [2012],lv. denied21 N.Y.3d 860, 2013 WL 3198167 [2013] and Matter of Goldstein v. Tax Appeals Trib. of the State of N.Y., 111 A.D.3d 986, 974 N.Y.S.2d 626, 2013 WL 5942511 [decided herewith].
ADJUDGED that the determination is confirmed, without costs, and petition dismissed.