Petitioners resided in Washington, D.C. during 1967 and filed a joint nonresident income tax return for that year with the respondent New York State Tax Commission. This proceeding was commenced following their receipt of a notice of deficiency in the amount of taxes paid and respondent's subsequent denial, after a hearing, of their application for a redetermination of that deficiency. It raises for our review the propriety of respondent's method for determining the amount...
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