MATTER OF BIRGE CO., INC. v. STATE TAX COMM'N


44 A.D.2d 883 (1974)

In the Matter of Birge Company, Inc., Petitioner, v. State Tax Commission, Respondent

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

May 30, 1974


The sole question presented in this proceeding is whether the State Tax Commission's determination that petitioner was not entitled to allocate its business income under article 9-A of the Tax Law for the reason that petitioner had no regular place of business outside the State of New York is supported by substantial evidence. Petitioner, a domestic corporation with its principal place of business in Buffalo, New York, manufactures and sells wallpaper and wallcloth. Sample...

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