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Attorneys And Staff At The Kridel Law Group

PEOPLE OF THE STATE OF NEW YORK V. NORCOM COMMUNICATIONS

State of New York sought to subject the client as an excise tax pursuant to Section 183-e which applied to communication companies in general. The firm was able to differentiate the services provided by the client so as to avoid same from falling within the definitional section of the Statute and therefore freeing the client from payment of the tax.

Virtual Appointments For New York Tax Matters:

Phone: 212-924-1625

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