Section 11-1313. Remedies exclusive  


Latest version.
  • The  remedies  provided  by sections
      11-1310 and 11-1311 of this chapter  shall  be  the  exclusive  remedies
      available  to any person for the review of tax liability imposed by this
      chapter; and no  determination  or  proposed  determination  of  tax  or
      determination  on  an  application  for  refund  by  the commissioner of
      finance, nor any decision by the tax appeals  tribunal  or  any  of  its
      administrative  law  judges,  shall be enjoined or reviewed by an action
      for declaratory judgment, an action for money had and  received,  or  by
      any legal or equitable action or proceeding other than, in the case of a
      decision by the tax appeals tribunal sitting en banc, a proceeding under
      article  seventy-eight  of  the  civil practice law and rules; provided,
      however, that a taxpayer may proceed  by  declaratory  judgment  if  the
      taxpayer   institutes   suit  within  thirty  days  after  a  deficiency
      assessment is made and pays the amount of the deficiency  assessment  to
      the  commissioner  of  finance prior to the institution of such suit and
      posts a bond for costs as provided in section 11-1310 of this chapter.