State Codes and Statutes

Statutes > New-york > Tax > Article-41 > Part-1 > 3003

§ 3003.  Content of tax due, deficiency, and other notices.  Any first  letter of proposed deficiency or determination (commonly called a thirty  day  letter)  issued  by  the  commissioner,  and any notice and demand,  notice of deficiency or notice of determination which is issued  by  the  commissioner,  which  is  manually initiated and which is the first such  letter or notice issued to the taxpayer  with  respect  to  the  subject  matter  of  such  notice,  shall  describe  the  basis  for (such as the  statutory or  regulatory  law,  or  judicial  or  tax  appeals  tribunal  decision),  and  identify  the  amounts  (if  any)  of the tax due.   An  inadequate description under this  section  shall  not  invalidate  such  letter or notice.

State Codes and Statutes

Statutes > New-york > Tax > Article-41 > Part-1 > 3003

§ 3003.  Content of tax due, deficiency, and other notices.  Any first  letter of proposed deficiency or determination (commonly called a thirty  day  letter)  issued  by  the  commissioner,  and any notice and demand,  notice of deficiency or notice of determination which is issued  by  the  commissioner,  which  is  manually initiated and which is the first such  letter or notice issued to the taxpayer  with  respect  to  the  subject  matter  of  such  notice,  shall  describe  the  basis  for (such as the  statutory or  regulatory  law,  or  judicial  or  tax  appeals  tribunal  decision),  and  identify  the  amounts  (if  any)  of the tax due.   An  inadequate description under this  section  shall  not  invalidate  such  letter or notice.

State Codes and Statutes

State Codes and Statutes

Statutes > New-york > Tax > Article-41 > Part-1 > 3003

§ 3003.  Content of tax due, deficiency, and other notices.  Any first  letter of proposed deficiency or determination (commonly called a thirty  day  letter)  issued  by  the  commissioner,  and any notice and demand,  notice of deficiency or notice of determination which is issued  by  the  commissioner,  which  is  manually initiated and which is the first such  letter or notice issued to the taxpayer  with  respect  to  the  subject  matter  of  such  notice,  shall  describe  the  basis  for (such as the  statutory or  regulatory  law,  or  judicial  or  tax  appeals  tribunal  decision),  and  identify  the  amounts  (if  any)  of the tax due.   An  inadequate description under this  section  shall  not  invalidate  such  letter or notice.