Dissatisfied with the equalization rate set by respondent for the 1994 tax year, petitioner commenced this CPLR article 78 proceeding challenging that rate. After respondent answered, petitioner moved to compel disclosure of various documents. Respondent thereupon sought a protective order with respect to petitioner's demands for the names and qualifications of its appraisers, and for documents referred to as "turn around" documents....
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