§11-6E-5. Protest and appeal.
At any time after the property is returned for taxation but
prior to the first day of January of the assessment year, any
taxpayer may apply to the county assessor for information regarding
the issue of whether any particular item or items or property
constitute specialized production manufacturing property under this
article which should be subject to valuation in accordance with
this article. If the taxpayer believes that some portion of the
taxpayer's property is subject to the provisions of this article,
the taxpayer shall file objections in writing with the county
assessor. The county assessor shall decide the matter by either
sustaining the protest and making proper corrections, or by
stating, in writing if requested, the reasons for the county
assessor's refusal. The county assessor may, and if the taxpayer
requests, the county assessor shall, before the first day of
January of the assessment year, certify the question to the tax
commissioner in a statement sworn to by both parties, or if the
parties are unable to agree, in separate sworn statements. The
sworn statement or statements shall contain a full description of
the property and any other information which the tax commissioner
may require.
The tax commissioner shall, as soon as possible on receipt of
the question, but in no case later than the twenty-eighth day of
February of the assessment year, instruct the county assessor as to
how the property shall be treated. The instructions issued and
forwarded by mail to the county assessor are binding upon the
county assessor, but either the county assessor or the taxpayer may apply to the circuit court of the county for review of the question
of the applicability of this article to the property in the same
fashion as is provided for appeals from the county commission in
section twenty-five, article three of this chapter. The tax
commissioner shall prescribe forms on which the questions under
this section shall be certified and the tax commissioner has the
authority to pursue any inquiry and procure any information which
may be necessary for disposition of the matter.