MATTER OF GOLDEN v. STATE TAX COMM'N


90 A.D.2d 941 (1982)

In the Matter of William T. Golden et al., Petitioners, v. State Tax Commission, Respondent

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

November 24, 1982


Petitioner William T. Golden is an investor who buys and sells securities for himself and his wife, petitioner Sybil L. Golden, and together with two other investors he maintains an office at 40 Wall Street in the City of New York for use in carrying on investment activities. During the year 1974, petitioners had income of $823,363, $400,622 of which was interest income from Treasury bills and $422,741 of which was income from other investments, and while they had investment...

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