Per Curiam.
The threshold issue in this appeal is whether the Board of Tax Appeals lacked jurisdiction to rule on the merits of appellant's appeal because appellant had not, pursuant to R. C. 5717.02, sufficiently specified the grounds for relief in its notice of appeal.
R. C. 5717.02 provides, in pertinent part, that appeals from final determinations by the Tax Commissioner "* * * shall be taken by the filing of a notice of appeal with the board [of...
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