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This document is a memorandum decision related to a case before the New York City Office of Administrative Trials and Hearings concerning allegations of employment discrimination against the Department of Education by the complainant, Robert Hollinger. The ruling addresses issues of service of notice, jurisdictional defenses, and procedural compliance, ultimately deciding on motions made by both parties.
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Hollinger v. Department of Revenue is typically a legal case or administrative hearing involving issues related to tax assessments or disputes between a taxpayer and the state's revenue department.
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Individuals or entities involved in a dispute with the Department of Revenue regarding tax assessments or related issues are required to file Hollinger v. Department of Revenue.
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To fill out Hollinger v. Department of Revenue, one must obtain the required forms from the Department of Revenue, provide accurate information regarding the tax dispute, and submit any supporting documentation.
What is the purpose of hollinger v dept of?
The purpose of Hollinger v. Department of Revenue is to resolve disputes between taxpayers and the revenue department regarding tax liabilities, assessments, or penalties.
What information must be reported on hollinger v dept of?
Required information typically includes taxpayer identification, details of the tax assessment being disputed, supporting documents, and any correspondences with the Department of Revenue.
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