Lahtinen, J.
Petitioner was the beneficiary of certain tax incentives provided in a payment in lieu of tax agreement (hereinafter agreement) that it entered into in 1991 with the Rensselaer County Industrial Development Agency (hereinafter Agency), which owned land that petitioner leased for its business enterprise (see generally General Municipal Law art 18-A). Under the agreement, "[t]he value of the Land and the Facility for purposes of determining payments...
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