In re Equalization Appeal of Kc-Mf-282-Meadowbrook, Inc.

Decision Date03 September 2020
Docket Number2019-4728-EQ
PartiesIN THE MATIER OF THE EQUALIZATION APPEAL OF KC-MF-282-MEADOWBROOK, INC. FOR THE YEAR 2019 IN JOHNSON COUNTY, KANSAS
CourtTax Court of Kansas

IN THE MATIER OF THE EQUALIZATION APPEAL OF KC-MF-282-MEADOWBROOK, INC. FOR THE YEAR 2019 IN JOHNSON COUNTY, KANSAS

No. 2019-4728-EQ

Tax Court of Kansas

September 3, 2020


ORDER

RONALD C. MASON CHAIR

Upon the written request of the appellant received on August 28, 2020, the Board finds that the above captioned matter is dismissed.

The subject matter of this appeal is as follows:

Parcel ID No. 046-069-32-0-40-18-037.00-0

IT IS THEREFORE ORDERED that the appeal is dismissed.

Any party who is aggrieved by this order may file a written petition for reconsideration with this Board as provided in K.S.A. 77-529, and amendments thereto. See K.S.A. 74-2426(b), and amendments thereto. The written petition for reconsideration shall set forth specifically and in adequate detail the particular and specific respects in which it is alleged that the Board's order is unlawful, unreasonable, capricious, improper or unfair. Any petition for reconsideration shall be mailed to the Secretary of the Board of Tax Appeals. The written petition must be received by the Board within 15 days of the certification date of this order (allowing an additional three days for mailing pursuant to statute).

Rather than filing a petition for reconsideration, any aggrieved person has the right to appeal this order of the Board by filing a petition with the court of appeals or the district court pursuant to K.S.A. 74-2426(c)(4)(A), and amendments thereto. Any person choosing to petition for judicial review of this order must file the petition with the appropriate court within 30 days from the date of certification of this order. See K.S.A. 77-613(b) and (c) and K.S.A. 74-2426(c), and amendments thereto. Pursuant to K.S.A. 77-529(d), and amendments thereto, any party choosing to petition for judicial review of this order is hereby notified that the Secretary of the Board of Tax Appeals is to receive service of a copy of the petition for judicial review. Please note, however, that the Board would not be a party to any judicial review because the Board does not have the capacity or power to sue or be sued. See K.S.A. 74-2433(f), and amendments thereto.

The address for the Secretary of the Board of Tax Appeals is Board of Tax Appeals, Eisenhower State Office Building, 700 SW Harrison St., Suite 1022, Topeka, KS 66603. A party filing any petition shall also serve a complete copy of the petition on all other parties.

IT IS SO ORDERED.

Thomas P. Browne,...

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