Novita Industries, LLC v. Lorain County Board of Revision

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The Lorain County Board of Revision (BOR) had continuing-complaint jurisdiction to determine the value of a property for tax years 2012, 2013, and 2014 and therefore, the Board of Tax Appeals (BTA) erred in refusing to exercise jurisdiction over tax year 2014. Appellant sought a reduction from the value determined by the Lorain County auditor for the three years at issue by asserting a continuing complaint. Appellant predicated its claim on its originally filed complaint, which had challenged the property valuation for tax year 2009. That complaint was finally determined in 2014. Appellant’s continuing complaint sought to apply the same value determined in that case to 2012, 2013, and 2014. The BOR retained the auditor’s valuation. The BTA adopted Appellant’s appraiser’s valuation of $750,000 for 2012 and 2013 but concluded that it lacked jurisdiction to determine the value for tax year 2014. Specifically, the BTA found that the BOR lacked jurisdiction over tax year 2014 because a proper complaint was not filed for that tax year. The Supreme Court reversed, holding (1) the BOR had jurisdiction to determine the property’s value for tax years 2012, 2013, and 2014; and (2) an aggregate value of $750,000 shall be assigned to the property for all three tax years. View "Novita Industries, LLC v. Lorain County Board of Revision" on Justia Law