HUNTLEY, Justice.
We are asked to decide, as a matter of law, whether an old-age retirement center which charges fees to its residents sufficient to cover its operating expenses and all of the services it offers is a "charitable corporation" within the intendment of I.C. § 63-105C. That section exempts from taxation the "[p]roperty belonging to any fraternal, benevolent, or charitable corporation or society... ."
Respondent Sunny Ridge Manor, Inc. (Sunny...
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