GRIMES, Judge.
This case involves the question of whether appellee (Plymouth Harbor) is entitled to ad valorem tax exemption for the year 1972 as the owner and operator of a home for the aged.
Plymouth Harbor is a non-profit corporation holding a valid license as a home for the aged issued by the State Board of Health. It is also a qualified exempt organization under the provisions of Section 501(c) (3) of the Internal Revenue Code. From its inception, Plymouth...
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