METROPOLITAN ASSOCIATES, a Wisconsin Limited Partnership, on behalf of itself and all other persons and entities who filed an objection to the 2008 assessment of any parcel of real or personal property in the City of Milwaukee, Plaintiff-Respondent-Petitioner,
v.
CITY OF MILWAUKEE, a Wisconsin Municipal Corporation, Defendant-Appellant.
Supreme Court of Wisconsin.https://leagle.com/images/logo.png
There was an amicus brief by Maureen A. McGinnity , Foley & Lardner LLP, Milwaukee, John T. Barry , Quarles & Brady LLP, Milwaukee and Douglas A. Pessefall , Whyte Hirschboeck Dudek, S.C., Milwaukee, on behalf of State Bar of Wisconsin Taxation Section Board of Directors.
Supreme Court of Wisconsin.
MICHAEL J. GABLEMAN, J.
¶ 1 This is a review of a published decision of the court of appeals reversing the circuit court order granting summary judgment to Metropolitan Associates.1 Metropolitan Associates challenges the procedure taxpayers must follow in order to dispute municipal property tax assessments. After a taxpayer receives his or her annual property tax assessment, the taxpayer may challenge that assessment before the Board...
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