MATTER OF ROYAL INDEM. CO. v. TAX APPEALS TRIBUNAL


148 A.D.2d 845 (1989)

In the Matter of Royal Indemnity Company, Petitioner, v. Tax Appeals Tribunal et al., Respondents

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

March 23, 1989


Mercure, J.

Petitioner, a property and casualty insurer, is a Delaware corporation licensed to do business in New York and subject to franchise taxation under Tax Law article 33. Petitioner sought to carry forward its 1974 and 1975 net operating losses as deductions on its 1976 and 1977 State franchise tax returns in amounts which exceeded those petitioner deducted on its corresponding Federal tax returns. The...

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