Henderson v. Silco
Opinion of the Court
In this proceeding under article 7 of the Real Property Tax Law petitioner appeals from a Special Term
Petitioner submitted an affidavit in opposition to respondents’ answer which alleged that on July 7, 1970 he gave the annexed written signed complaint, stating facts in support of his claim of over valuation of his property to the Town Supervisor who, on the same day, met with petitioner and the Assessor and discussed petitioner’s grievance.
In specifying the contents of a petition in a proceeding to review an assessment, section 706 of the Real Property Tax Law provides that the petition must show that a complaint was made in due time to the proper officers to correct such assessment. Section 512 of the Real Property Tax Law provides that: " Complainants shall file with the assessors at any time prior to the meeting of the board of review * * * a statement, under oath, specifying the respect in which the assessment complained of is illegal, erroneous or unequal.”
The petition was sufficient in all respects except that it was not verified and was given to the Supervisor instead of the Assessor. Petitioner and the Town Supervisor did, however, discuss it with the Assessor. He acted upon it in reducing petitioner’s assessment and on July 29, 1970 he notified petitioner that: “ We have reviewed your grievance and corrected your assessment as shown on the enclosed sheet * * *. Please be advised that the assessment placed on your property * * * has been set at $94,900.”
After the tax roll was tentatively completed on or before June 24, 1970 as required by section 506 and notice of the completion was given, respondents lacked jurisdiction to change it except upon complaint of a party aggrieved. (People ex rel.
In denying appellant’s application for a review Special Term in effect dismissed his petition. The order should be reversed and the petition reinstated.
Del Vecchio, J. P., Marsh, Gabrielli and Moule, JJ., concur.
Order unanimously reversed with costs and petition reinstated.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.