VT YANKEE NUCLEAR POWER v. DEPT. OF TAXES

No. 08-447.

996 A.2d 186 (2010)

2010 VT 24

VERMONT YANKEE NUCLEAR POWER CORPORATION v. DEPARTMENT OF TAXES.

Supreme Court of Vermont.

March 19, 2010.


Attorney(s) appearing for the Case

Christopher D. Roy and Wm. Roger Prescott of Downs Rachlin Martin PLLC, Burlington, for Plaintiff-Appellant.

William H. Sorrell, Attorney General, and Danforth Cardozo, III, Assistant Attorney General, Montpelier, for Defendant-Appellee.

Present: REIBER, C.J., DOOLEY, JOHNSON, SKOGLUND and BURGESS, JJ.


¶ 1. DOOLEY, J.

Taxpayer Vermont Yankee Nuclear Power Corporation appeals the denial by the Windham Superior Court of its claim for additional interest on an income tax refund paid to it. Taxpayer argues that 32 V.S.A. § 5884(c), which directs that interest on a tax refund be calculated from forty-five days after the date an amended return is filed, is inapplicable and that the interest computation should be based on a date over ten years earlier. We disagree...

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