MUT LIFE INS CO v. TAX COMMN.


142 A.D.2d 41 (1988)

In the Matter of Mutual Life Insurance Company of New York, Petitioner, v. New York State Tax Commission, Respondent

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

November 10, 1988


Attorney(s) appearing for the Case

Weaver H. Gaines, Jr. (Christine M. Doyle of counsel), for petitioner.

Robert Abrams, Attorney-General (Wayne L. Benjamin and Nancy A. Spiegel of counsel), for respondent.

WEISS, J. P., YESAWICH, JR., LEVINE and MERCURE, JJ., concur.


HARVEY, J.

Petitioner is a domestic corporation which, pursuant to Tax Law article 22, is required to deduct and withhold taxes from the wages of its employees. The aggregate amount petitioner was required to deduct and withhold was such that petitioner was required, in 1978, to file semimonthly returns paying over the amounts withheld to the Department of Taxation and Finance (see, Tax Law § 674...

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