Stuyvesant Square Thrift Shop, Inc. v. Tax Commission
Opinion
[462] OPINION OF THE COURT
This case presents a question of rather widespread interest. It poses the issue of whether a thrift shop organized by a group of charitable organizations, the profits of which are used exclusively to contribute to its member organizations, is exempt from real estate tax under section 421 (subd 1, par [a]) of the Real Property Tax Law.
Petitioner (Thrift Shop) is a membership corporation. It was organized in 1967 under the Membership Corporations Law (now the Not-For-Profit Corporation Law) to operate a thrift shop and to dispose of the net profits realized by it "by contributions to other agencies, organizations or institutions organized for charitable, philanthropic, eleemosynary or benevolent purposes”. Originally, its members were nine in number. They have since been reduced to eight and consist of two hospital auxiliaries, three neighborhood and settlement houses, one women’s church organization, the Youth Counseling League and Goodwill Industries, Inc.
The Thrift Shop receives merchandise, which it refurbishes.
Footnotes
76 A.D.2d 461 (Stuyvesant Square Thrift Shop, Inc. v. Tax Commission) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.