ANDREW, J.T.C.
The issue presented in this state tax case is whether plaintiff, Thomson-Leeds Company, Inc. (Thomson-Leeds), a Delaware corporation, with its principal office in New York City, had sufficient business activities in New Jersey to require it to file corporation tax returns under the Corporation Business Tax Act (CBT), N.J.S.A. 54:10A-1 et seq., or, in the alternative, the Corporate Income Tax Act (CIT), N.J.S.A. 54:10E-1 et seq...
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