People ex rel. Edward & John Burke, Ltd. v. Wells

107 A.D. 15
Appellate Division of the Supreme Court of the State of New York·Decided July 15, 1905·Published·Cited by 1 cases

Opinion

The following is the opinion, of Leventritt,. J., delivered at the Special Term :

Leventritt, J.:

The principle and reasoning of People ex rel. Yellow Pine Co. v. Barker (23 App. Div. 524; affd., 155 N. Y. 665) are authority for the proposition that the credits or bills receivable of the relator are taxable as capital invested in business in this State within the meaning of section 7 of the Tax Law

Footnotes

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People ex rel. Edward & John Burke, Ltd. v. Wells, 107 A.D. 15 (N.Y. Ct. App. 1905).

107 A.D. 15 (People ex rel. Edward & John Burke, Ltd. v. Wells) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

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