The assessment was for the tax year commencing November 1, 1943, in the sum of $1,736.21, and for the transition period from November 1, 1944, to December 31st of that year, in the amount of $1,150.72, making a total tax of $2,886.93. The petitioner is a domestic corporation. Prior to October 1, 1943, it operated as a real estate corporation in New York City. Its activity had been confined to the ownership and operation of an apartment house. Its franchise taxes up to that...
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