Zimmer US, Inc. v. David Gerregano

Case Number
M2020-00171-COA-R3-CV

This is a taxpayer action challenging the Tennessee Department of Revenue’s decision to deny its refund claim. The taxpayer filed a refund claim in December 2015, after which the parties entered into three consecutive extension agreements under Tenn. Code Ann. §§ 67-1-1501 and -1802. Shortly before the last extension expired, the taxpayer commenced this action to obtain its refund. The Department responded by filing a motion to dismiss the complaint on the basis the trial court lacked subject matter jurisdiction because the one-year statute of limitations to commence the refund action was not extended. Specifically, the Department insisted the extension agreements only extended the limitation periods for it to assess taxes and refund overpayments. For its part, the taxpayer insisted the parties agreed to extend the deadline for filing suit and that its action was timely commenced. The trial court agreed with the Department and dismissed the complaint. We affirm the trial court’s decision because the plain language of each extension agreement references only the assessment and refund of taxes.

Authoring Judge
Presiding Judge Frank G. Clement, Jr.
Originating Judge
Chancellor Patricia Head Moskal
Case Name
Zimmer US, Inc. v. David Gerregano
Date Filed
Dissent or Concur
No
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