MATTER OF EASYLINK SERVS. INTL., INC. v. NEW YORK STATE TAX APPEALS TRIB.

512864.

101 A.D.3d 1180 (2012)

955 N.Y.S.2d 271

2012 NY Slip Op 8366

In the Matter of EASYLINK SERVICES INTERNATIONAL, INC., Petitioner, v. NEW YORK STATE TAX APPEALS TRIBUNAL et al., Respondents.

Appellate Division of the Supreme Court of New York, Third Department.

December 6, 2012.


Stein, J.

Petitioner — a global provider of electronic messaging services, including fax, telex, email and electronic data interchange (hereinafter EDI) — commenced this proceeding to challenge a determination of respondent Tax Appeals Tribunal that its services constitute telegraphy subject to sales tax pursuant to Tax Law § 1105 (b) (1) (B).1 Although petitioner initially...

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