Supporting Documentation · May 12, 2026
143-26 TAX COURT JUDGMENTS_Redacted.pdf
95f6a6a1bd08b6260591c883d404549759f241de69776012a2242f92fa192dfaIndexed text · page 4
Show all pages009321-2025 04/15/2026 2:13:08 PM Pg2of2 Trans ID: TAX202662235 5. All tax over-payments and interest shall be by refund check made payable to "Heinze Law, P.A. Attorney Trust Account” and shall be sent to the firm for the benefit of the taxpayer. 6. The provisions of Paragraphs 4 and 5 shall survive Judgment even if not included in the Judgment issued by the Tax Court. 7. The parties agree that there has been no change in value or municipal wide revaluation or reassessment adopted for the tax years 2026 and 2027, and therefore agree that the provisions of N.J.S.A. 54:51A-8 (Freeze Act) shall be applicable to the assessment on the property referred to herein for said Freeze Act year(s) with 2025 being the hase year. No Freeze Act year(s) shall be the basis for application of the Freeze Act for any subsequent year(s). babi] Mis} AMBER N. HEINZE Dated: March 23, 2026 Attorney for rahe Cin ©. Wlatthowe EDWIN R. MATTHEWS Dated: March 23, 2026 Attorney for Defendant
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