Petitioner sells natural gas to customers in the City of New York, the intervenor herein. Each year, respondent has assessed petitioner's gas mains and related equipment as special franchise property. For the tax year 1983-1984, as in years past, petitioner contested respondent's assessment and, after exhausting its administrative remedies without satisfaction, commenced this proceeding on August 3, 1983 pursuant to Real Property Tax...
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