Following its formation in 1947, petitioner applied for and received a Federal income tax exemption under the Internal Revenue Code (26 USC former § 101 [7]). This exemption was later continued under 26 USC § 501 (c) (6) (exemption for business leagues) when the Code was revised. Thereafter, in October 1990, petitioner applied for an exemption from State sales and use taxes under Tax Law § 1116 (a) (4), which covers, inter...
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