PER CURIAM.
In this appeal from a Tax Court order dismissing its complaint for lack of subject matter jurisdiction, R. 4:6-2(a), appellant Amplicon, Inc., contends that the Court misinterpreted and improperly applied statutory provisions respecting refund of sales and use tax payments. It contends, too, that equitable principles should have been applied to toll statutory limitation periods enabling it to request relief from asserted sales tax overpayments made...
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