New York State Cable Television Ass'n v. Tax Commission

88 Misc. 2d 601, 388 N.Y.S.2d 560, 39 Rad. Reg. 2d (P & F) 519, 1976 N.Y. Misc. LEXIS 2710
CourtNew York Supreme Court
DecidedNovember 10, 1976
StatusPublished
Cited by2 cases

This text of 88 Misc. 2d 601 (New York State Cable Television Ass'n v. Tax Commission) is published on Counsel Stack Legal Research, covering New York Supreme Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
New York State Cable Television Ass'n v. Tax Commission, 88 Misc. 2d 601, 388 N.Y.S.2d 560, 39 Rad. Reg. 2d (P & F) 519, 1976 N.Y. Misc. LEXIS 2710 (N.Y. Super. Ct. 1976).

Opinion

John T. Casey, J.

Two proceedings instituted against the State Tax Commission question whether the sale of cable television services is subject to sales and use taxes imposed under article 28 of the Tax Law. One proceeding, styled as a class action, is brought under CPLR article 78 by and on behalf of subscribers to cable television services. The other proceeding is an action for a declaratory judgment instituted by the New York State Cable Television Association and several cable television companies. In the action for a declaratory judgment both sides have moved for summary judgment.

On June 1, 1976 the State Tax Commission determined that cable television activities fell within the definition of telephony and telegraphy within the meaning of subdivision (b) of section 1105 of the Tax Law and thus decided administratively that receipts from the sale of cable television services were subject to the sales and use taxes. Since June 1, 1976 cable television companies have been required to collect from subscribers and pay over the State and local sales taxes upon the sale of cable television services.

Section 1105 of the Tax Law provides, in pertinent part: "On and after June first, nineteen hundred seventy-one, there is hereby imposed and there shall be paid a tax of four percent upon * * * (b) The receipts from every sale, other than sales for resale, of * * * telephony and telegraphy and telephone and telegraph service of whatever nature”. The issue is, therefore, whether cable television may be characterized for the purpose of subdivision (b) of section 1105 as telephony and telegraphy. Resolution of that issue necessarily involves an examination of the cable television operation.

[603]*603Cable television, or CATV, is a system of transmitting the television broadcast signal. The classic cable television system consists of a tall master antenna, trunk lines, feeder lines and drop lines. The antenna receives various broadcast signals which are then processed and prepared for transmission by processing equipment located in a control station at the foot of the tower. At the control station, headend, the signal is brought up to maximum strength and clarity. The processed signal is then transmitted through large coaxial cables (trunk lines) connected to the headend. Branching off the trunk lines are smaller cables known as feeder lines and even smaller cables called drop lines. The processed signal is transmitted through the trunk, feeder and drop lines to the individual subscriber’s television set. Subscribers pay an installation charge to have their set hooked to the system, and thereafter pay a monthly service charge. In addition to receiving and transmitting the broadcast signal of another, some cable television companies are originating television programs on their own. The principal advantages of the cable television system over the conventional over-the-air system of transmitting television signals are that the cable system provides more and better broadcast signals and that the cable system has much more potential for providing additional services to subscribers.

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Related

Manhattan Cable Television, Inc. v. New York State Tax Commission
137 A.D.2d 925 (Appellate Division of the Supreme Court of New York, 1988)
New York State Cable Television Ass'n v. State Tax Commission
59 A.D.2d 81 (Appellate Division of the Supreme Court of New York, 1977)

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Bluebook (online)
88 Misc. 2d 601, 388 N.Y.S.2d 560, 39 Rad. Reg. 2d (P & F) 519, 1976 N.Y. Misc. LEXIS 2710, Counsel Stack Legal Research, https://law.counselstack.com/opinion/new-york-state-cable-television-assn-v-tax-commission-nysupct-1976.