Order reversed, on the law, with $10 costs and disbursements, and motion granted.
It is well established that when article 7 of the Real Property Tax Law is silent upon a question of procedure, pertinent and nonconflicting provisions of the CPLR control (see People ex rel. American Sugar Refining Co. v. Sexton, 274 N.Y. 304, 307; see, also, CPLR 101, 103, subd. [b]). We find nothing in article 7 which precludes, or is inconsistent with, the application of the...
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