City of Philadelphia v. City of Philadelphia Tax Review Board ex rel. Keystone Health Plan East, Inc. , 625 Pa. 555 ( 2014 )


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  • ORDER

    PER CURIAM.

    AND NOW, this 5th day of June 2014, the Petition and Cross Petition for Allowance of Appeal are GRANTED. The issues, as stated by the parties, are:

    (1) Was President Judge Pellegrini correct in dissent that the majority’s conclusion — that although there is a very strict three-year statute of limitations on requests for tax refunds, there is no statute of limitations at all on requests for tax credits — is “absurd” in that it allows taxpayers to pursue tax overpayments against the City “forever,” without any limiting principles whatsoever?

    (2) Whether, as a matter of law and equity, the Commonwealth Court correctly upheld the Philadelphia Court of Common Pleas by denying Taxpayers BPT refunds [under the circumstances].1

    . The second issue has been shortened only to delete unnecessary detail.

Document Info

Docket Number: Nos. 72 EAL 2014, 73 EAL 2014

Citation Numbers: 625 Pa. 555, 93 A.3d 802

Filed Date: 6/5/2014

Precedential Status: Precedential

Modified Date: 10/19/2024