The real property of a corporation or association organized exclusively for the moral or mental improvement of men or women, or for religious, bible, tract, charitable, benevolent, missionary, hospital, infirmary, educational, scientific, literary, library,... Report - Page 242by Connecticut. Bureau of Labor Statistics - 1896Full view - About this book
| New York (State). Supreme Court. Appellate Division - Law reports, digests, etc - 1910 - 1076 pages
...improvement of men or women or for scientific, literary, library, patriotic, cemetery or historical purposes, or for the enforcement of laws relating to children or animals, or for two or more of such purposes and used exclusively for carrying oiit one or more of such purposes." (Tax Law, §... | |
| New York (State), Robert Cushing Cumming - Corporation law - 1896 - 352 pages
...missionary, hospital, educational, patriotic, historical or cemetery purposes, or for two or more of such purposes, and used exclusively for carrying out thereupon one or more of such purposes shall be exempt from taxation. But no such corporation or association shall be entitled to any such... | |
| New York (State). Supreme Court. Appellate Division - Law reports, digests, etc - 1902 - 756 pages
...missionary, tract, literary, scientific, benevolent or charitable corporation, or corporation organized for the enforcement of laws relating to children or animals, or for hospital, infirmary, or other than business purposes." The personal estate of such corporations was... | |
| New York (State). Legislature. Senate - Government publications - 1897 - 1274 pages
...children or from animals, or for two or more of such purposes, and used exclusively for carrying oui thereupon one or more of such purposes, and the personal...such corporation or association shall be entitled to "awn¿ any such exemption if any officer, member or employee thereof shall y°mi0not receive or may... | |
| New York (State) - Law - 1897 - 996 pages
...raubnsrp°~ hospital, infirmary, educational, scientific, literary, library, pa/triotic, historical or cemetery purposes, or for the enforcement of laws...exclusively for carrying out thereupon one or more of sueh purposes; and the personal property of any such corporation shall be exempt from taxation. But... | |
| New York (N.Y.), Mark Ash - NYC - 1897 - 1420 pages
...missionary, hospital, infirmary, educational, scientific, literary, library, patriotic, historical or cemetery purposes, or for the enforcement of laws...relating to children or animals, or for two or more of such purposes, and used exclusively for carrying out thereupon one or more of such purposes, and... | |
| New York (State). Courts - Law reports, digests, etc - 1898 - 882 pages
...missionary, hospital, infirmary, educational, scientific, literary, library, patriotic, historical or cemetery purposes, or for the enforcement of laws...and the personal property of any such corporation shall be exempt from taxation. But no such corporation or association shall be entitled to any such... | |
| New York (State). Supreme Court. Appellate Division - Law reports, digests, etc - 1898 - 752 pages
...missionary, hospital, educational, patriotic, historical or cemetery purposes, or for two or more of such purposes, and used exclusively for carrying out thereupon one or more of such purposes, shall be exempt from taxation." I shall assume, for the purposes of this discussion, that the assessors... | |
| Andrew Hamilton - Banking law - 1898 - 460 pages
...faith contemplated by such corporation or association. The real property of any such corporation not so used exclusively for carrying out thereupon one or more of such purposes, but leased or otherwise used for other purposes, shall not be exempt, but if a portion only of any... | |
| New York (State). Supreme Court. Appellate Division - Law reports, digests, etc - 1899 - 746 pages
...The real property of a corporation or association, organized exclusively for * * * benevolent * * * purposes * * * and used exclusively for carrying out...corporation or association, shall be exempt from taxation." This contention is not germane to the question involved in this litigation, because the Tax Law did... | |
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