PER CURIAM.
This case involves an interpretation of the so-called "Freeze Act" (N.J.S.A. 54:2-43) as applied to a situation where a municipality and the taxpayer entered into a consent judgment in the Division of Tax Appeals as to the true value of the property involved for the tax years 1967 and 1968. More particularly, the issue is whether such judgment "froze" the assessment for the year 1969.
Appellant first argued that the consent judgment for...
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