In May, 1972, petitioner, a general construction corporation, entered into a contract with Maimonides Institute for the construction of a dormitory. In purchasing materials for construction of the dormitory, petitioner paid the sales tax. Upon presenting its bill to Maimonides, petitioner learned for the first time that Maimonides was a tax-exempt charitable organization. In April, 1974, petitioner requested a refund of the sales tax, which was denied by the Sales Tax Bureau...
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