U.S. STATIONERY v. TAX COMM


57 A.D.2d 187 (1977)

United States Stationery Company, Petitioner, v. State Tax Commission, Respondent

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

May 5, 1977


Attorney(s) appearing for the Case

Moses & Singer (Jerome M. Lasky, David B. Eizenman and Irving Sitnick of counsel), for petitioner.

Louis J. Lefkowitz, Attorney-General (Francis V. Dow and Ruth Kessler Toch of counsel), for respondent.

KOREMAN, P. J., KANE, MAHONEY and LARKIN, JJ., concur.


SWEENEY, J.

In this article 78 proceeding petitioner, a partnership, asks us to annul respondent's determination of a deficiency assessed against it for unincorporated business tax. The facts are not in dispute and we are concerned solely with a question of law. The record reveals that petitioner was engaged in the business of selling office supplies by mail. On June 7, 1968 all of its individual partners entered...

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