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Form 9297 Minnesota Hennepin: What You Should Know
Robert W. Tinsley, Petitioner, Rulings and Orders of the Minnesota State Tax Court at Law; Robert W. Tinsley; Petitioner. No. C 10-0232-CA-2. Decided December 06, 2010. A.G.A.B. (W.R., J.) Robert W. Tinsley, at the residence of his father, Coyle Tinsley in Maple wood Avenue and South Broadway, St. Paul, Minnesota 55401, and in the home of his mother, Nancy M. Tinsley in St. Paul, Minnesota, is liable for payment of the balance of the federal tax on property located in the State of Minnesota of 121,545,000 (the “Minnesota tax”). The State Tax Court has decided that the amount of tax owed to the State of Minnesota and, accordingly, that Tinsley's property is not exempt from assessment and collection. Tinsley filed a petition for exemption with the Minnesota Department of Revenue on August 6, 2013, and again on October 2, 2013, alleging that Minnesota is a “home state” and in which there is no tax liability; and Tinsley maintains all his business activities in the State of Minnesota. (Tinsley's Petition at 2 ¶ 24.) The Department of Revenue responded by filing a Notice of Tax Lien against the property for payment of the 121,545,000 state tax, which consists of personal liability of 20,000 and liability for the Minnesota tax of 24,930,000. (Tinsley's Notice of Tax Lien at 3 ¶ 3.) Tinsley filed an appeal with the Minnesota Court of Appeals, which affirmed the Department of Revenue's Notice of Tax Lien and ordered him to pay the tax. Tinsley appealed this Court's October 4, 2013, order confirming the Department of Revenue's Notice of Tax Lien and ordered the Department of Revenue to refund the 24,930,000. (Tinsley's Answer to the Tax Lien (No. 1)(c) at 12). The Appellate Court affirmed this Court's March 12, 2014, denial of Tinsley's request for a refund of the 24,930,000. (Tinsley's Refund Appeal (No. 2)(a) at 9).
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