The individual petitioners own, as tenants in common and as copartners, a large apartment house in Brooklyn. The building was divided into 128 apartments. During the years in question from 16 to 23 apartments were fully furnished and were rented as furnished apartments. For this reason the commission has held that petitioners were engaged in an unincorporated business and were not entitled to the exemption under section 386 of the Tax Law providing that they should not be...
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