MATTER OF HUDSON INST., INC. v. CERNESE


39 A.D.2d 576 (1972)

In the Matter of Hudson Institute, Inc., Appellant, v. Frank B. Cernese et al., Constituting The Board of Assessors of the Town of Cortlandt, Respondents

Appellate Division of the Supreme Court of the State of New York, Second Department.

April 17, 1972


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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