This case has been returned to the regular docket pursuant to S.Ct.Prac.R. 19.01(E). The appellant shall file a brief within 40 days of the date of this entry, and the parties shall otherwise proceed in accordance with S.Ct.Prac.R. 16.02 through 16.07. As provided in S.Ct.Prac.R. 16.07, the court may dismiss this case or take other action if the parties fail to timely file merit briefs.
Appeal from: Board of Tax Appeals, No. 2012–438.