Princeton Twp. v. Institute for Advanced Study

157 A.2d 136, 59 N.J. Super. 46
CourtNew Jersey Superior Court Appellate Division
DecidedJanuary 4, 1960
StatusPublished
Cited by10 cases

This text of 157 A.2d 136 (Princeton Twp. v. Institute for Advanced Study) is published on Counsel Stack Legal Research, covering New Jersey Superior Court Appellate Division primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Princeton Twp. v. Institute for Advanced Study, 157 A.2d 136, 59 N.J. Super. 46 (N.J. Ct. App. 1960).

Opinion

59 N.J. Super. 46 (1960)
157 A.2d 136

TOWNSHIP OF PRINCETON, A MUNICIPAL CORPORATION OF THE STATE OF NEW JERSEY IN THE COUNTY OF MERCER, APPELLANT,
v.
INSTITUTE FOR ADVANCED STUDY, A CORPORATION OF THE STATE OF NEW JERSEY, AND THE DIVISION OF TAX APPEALS, DEPARTMENT OF THE TREASURY, STATE OF NEW JERSEY, RESPONDENTS.

Superior Court of New Jersey, Appellate Division.

Argued September 28, 1959.
Decided January 4, 1960.

*48 Before Judges GOLDMANN, FREUND and HANEMAN.

Mr. Gordon D. Griffin argued the cause for appellant.

Mr. Henry M. Stratton, II, argued the cause for respondent Institute for Advanced Study (Messrs. Smith, Stratton & Wise, attorneys).

Mr. Murry Brochin, Deputy Attorney General, filed a statement in lieu of brief (Mr. David D. Furman, Attorney General, attorney for respondent Division of Tax Appeals).

*49 The opinion of the court was delivered by GOLDMANN, S.J.A.D.

Princeton Township appeals from a judgment of the Division of Tax Appeals exempting from local property taxation Olden Manor, the official residence of the Director of the Institute for Advanced Study ("Institute").

The township had assessed the residence, the land on which it was erected, and personal property located therein, at $105,900 for the year 1957, without granting the exemption claimed by the Institute under N.J.S.A. 54:4-3.6, which reads in part as follows:

"The following property shall be exempt from taxation under this chapter: All buildings actually used for colleges, schools, academies or seminaries; * * * all buildings actually and exclusively used in the work of associations and corporations organized exclusively for the moral and mental improvement of men, women and children, or for religious, charitable or hospital purposes, or for one or more such purposes; * * *."

On appeal, the Mercer County Board of Taxation affirmed the assessment. On further appeal, the State Division of Tax Appeals concluded that the Legislature did not intend to limit the application of the words "colleges, schools, academies or seminaries" only to institutions offering "the more orthodox or traditional methods of instruction." It held that the Institute is a college within the meaning of N.J.S.A. 54:4-3.6 and that Olden Manor is actually used for college purposes. The Division thereupon cancelled the assessment with respect to Olden Manor and the land surrounding it not in excess of five acres. This appeal followed.

The Institute, officially known as the Institute for Advanced Study — Louis Bamberger and Mrs. Felix Fuld Foundation, is a non-profit corporation of New Jersey, organized under the provisions of R.S. 15:1-1 et seq., as amended, for the purpose of "the establishment * * * of an institute for advanced study, and for the promotion of knowledge in all fields, and for the training of advanced students and workers for and beyond the degree of Doctor *50 of Philosophy and other professional degrees of equal standing." Its activities and operations are conducted and controlled by a board of trustees, elected as provided in the by-laws, and acting through the director, who is the chief administrative and executive officer. Among the powers of the corporation under its certificate of incorporation is the power

"* * * to make, amend, alter and repeal rules and regulations for the government of the institute to be established, maintained and conducted by the corporation, and in respect to the appointment and duties of executive officers and members of the staff and faculty, and in respect to the admission (with and/or without payment of dues or charges) and discipline of the students and workers, and in respect to the granting of diplomas and the awarding of degrees (including honorary degrees); * * *."

The Institute has 22 permanent faculty members and a transient student body, designated as members (these might in other institutions be called graduate or post-doctoral students), of about 125. Most of the student-members are admitted to the Institute upon application; a few are individually invited by the faculty to attend. Most of them are on leave of absence from other educational institutions, and come to the institute for a term or two, or sometimes for as much as two years, to pursue their respective fields of study or research. No tuition is charged, operations being financed for the most part from the income of the substantial endowment created by Louis Bamberger and his sister, Mrs. Felix Fuld (the Bamberger-Fuld Trust), with subsidiary grants from the Rockefeller, Carnegie, Ford and the National Science Foundations.

The Institute has three disciplines — mathematics, physics and historical studies. They meet as schools, and they conduct the business of the Institute as a body under the chairmanship of the Director. There is no formal instruction. However, seminars are scheduled weekly, or even more frequently. Student members are furnished office space and secretarial help, and are free to pursue their own research, *51 with no commitment whatsoever that it be along a given line or that the results accrue to the institution. Although the Institute has the corporate power to grant diplomas and award degrees, there are no degrees because the members are all at the post-doctorate level when they arrive, and already have their highest degree.

Olden Manor is a substantial dwelling owned and maintained by the Institute and located on its main campus on Olden Lane in Princeton Township. It is the principal residence of the Director and his family, to whom it is furnished rent-free and as a term of his employment. It is also used by the Director, on behalf of the Institute, for official entertainment and for numerous faculty and trustees' meetings and conferences.

The founder and first director of the Institute was Dr. Abraham Flexner. His vision of "a paradise for scholars," where "scholars and scientists may regard the world and its phenomena as their laboratory," led to the establishment of the Institute through the munificent gift of Mr. Bamberger and his sister in 1930. The Institute was cast in the image of his ideal as a small center where the quality of work rather than the number of students would be the distinguishing characteristic — a place where scholars and scientists could dedicate themselves to the conservation of knowledge and ideas, the interpretation of such knowledge and ideas, and the search for truth — in short, pure learning for its own sake. After nine years Dr. Flexner was succeeded by the distinguished educator, Dr. Frank Aydelotte, and then by the eminent physicist, Dr. Robert Oppenheimer. Among the many renowned scholars who have worked at the Institute are Albert Einstein, T.S. Eliot, John von Neumann, Reinhold Niebuhr, Edwin Panofsky, Herman Weyl, Arnold Toynbee, C.N. Yang, George F. Kennan and Dr. Oppenheimer.

We are concerned here with only the first clause of N.J.S.A. 54:4-3.6, exempting from taxation all buildings actually used for colleges, schools, academies or seminaries. The *52 subsequent portion of the statute quoted above is not involved on this appeal; the Institute concedes that although Olden Manor is actually used in connection with its activities and programs, it is not "exclusively" so used.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

In Re Marriage of Dieter
648 N.E.2d 304 (Appellate Court of Illinois, 1995)
Secondary School Admissions Test Board, Inc. v. Princeton Borough
13 N.J. Tax 467 (New Jersey Tax Court, 1993)
In Re Marriage of Holderrieth
536 N.E.2d 946 (Appellate Court of Illinois, 1989)
McKee v. Evans
490 P.2d 1226 (Alaska Supreme Court, 1971)
Bloomfield v. ACADEMY OF MED. OF NJ
210 A.2d 420 (New Jersey Superior Court App Division, 1965)
Pingry Corp. v. Hillside Tp.
207 A.2d 194 (New Jersey Superior Court App Division, 1965)
Textile Research Institute v. Township of Princeton
172 A.2d 417 (Supreme Court of New Jersey, 1961)

Cite This Page — Counsel Stack

Bluebook (online)
157 A.2d 136, 59 N.J. Super. 46, Counsel Stack Legal Research, https://law.counselstack.com/opinion/princeton-twp-v-institute-for-advanced-study-njsuperctappdiv-1960.