Judgment affirmed, with costs.
No opinion.
I believe that Special Term erred as a matter of law by holding that the communications system which the petitioner had installed in its premises was not taxable within the meaning of section 102 (subd 12, par [d]) of the Real Property Tax Law. Consequently I dissent and vote to reverse. In October, 1976 this proceeding was remanded by this court to Special Term for trial...
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