Affirmed, with costs.
No opinion.
Shapiro and Benjamin, JJ., dissenting.
The issue is whether petitioner is in fact a nonprofit organization entitled to a tax exemption under subdivision 1 of section 420 of the Real Property Tax Law. We believe it is. Petitioner was organized in 1961 as a nonprofit corporation by a group of distinguished citizens. Its charter expressly states that it "shall be operated, exclusively for charitable, educational and scientific...
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