On this application by the executors for an order exempting the estate from tax the State Tax Commission contends (1) that the decedent was domiciled in the State of New York on the date of his death on December 7, 1959 and (2) that regardless of his domicile the State of New York may tax the intangibles in a custody account in this city and a brokerage account in this city which comprise the bulk of the decedent's estate of approximately...
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