Legal Opinion

Fort Hamilton Manor, Inc. v. Boyland

New York Court of Appeals

Decided April 3, 1958PublishedCited by 13 opinions

1Opinion of the CourtVan Voorhis, J.

In this appeal by our permission, we deal with the legality of a real estate tax assessment levied by the City of New York for the tax year 1953-1954 on premises designated on the tax map of the Borough of Brooklyn, *195said city, as Lots 100 and 200, Section 18, Block 6123, said parcels being wholly located within the confines of the Fort Hamilton Military Reservation owned by the United States of America. The petitioners in the courts below, and now on this appeal, contend that the subject lands and improvements “ shall be exempt from taxation as being property of the United States Government ”.

2Cases cited13 opinions

  1. United States v. City of DetroitSupreme Court of the United States · 1958
  2. Offutt Housing Co. v. County of SarpySupreme Court of the United States · 1956
  3. Fifth Avenue Building Co. v. . KernochanNew York Court of Appeals · 1917
  4. Despard v. . ChurchillNew York Court of Appeals · 1873
  5. Baltimore National Bank v. State Tax CommissionSupreme Court of the United States · 1936

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3Cited by13 opinions

  1. Thiokol Chemical Corp. v. Morris County Board of TaxationSupreme Court of New Jersey · 1964
  2. Durso Supermarkets, Inc. v. D'Urso (In Re Durso Supermarkets, Inc.)United States Bankruptcy Court, S.D. New York · 1996
  3. Citibank, N. A. v. City of New York Finance AdministrationNew York Court of Appeals · 1977
  4. Capri Marina & Pool Club v. Board of AssessorsNew York Supreme Court · 1976
  5. United States v. DallyDistrict Court, S.D. New York · 1958

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