75 Maiden Lane Corp. v. Boyland

In this consolidated certiorari tax proceeding to review assessments for the tax years 1950-51 and 1951-52 on premises 75 Maiden Lane, Borough of Manhattan, on all the relevant facts disclosed including the indicated fair returns, we find that the reduction of the assessments was not warranted. Order unanimously reversed and the assessments reinstated. Settle order on notice. Present — Peck, P. J., Glennon, Dore, Breitel and Bergan, JJ.