The appellant, Ballet Russe de Monte Carlo, Inc., is a nonprofit, tax exempt membership corporation not subject to Federal Social Security but in 1951 voluntarily (Labor Law, § 561) became a contributor to the New York State Unemployment Insurance Fund. The claimant, one of its dancers, first associated with appellant in 1954 and continued until June, 1956. He was a member of the American Guild of Musical Artists' Union which in turn had a basic agreement with the appellant...
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