On May 12, 2015, this Court reversed, in part, the Indiana Board of Tax Review's final determination in the above-captioned matter. See Property Dev. Co. Four, LLC v. Grant Cnty. Assessor, 31 N.E.3d 1049 (Ind.Tax Ct.2015). In its opinion, the Court held that the Grant County Assessor's retroactive assessments of Property Development Company Four, LLC's real property were invalid because Property Development had not received sufficient notice of the assessments and the property tax liabilities arising therefrom.