The decedent, who was a non-resident, died on the 11th of February, 1917, and the transfer tax appraiser designated by this court to appraise his estate reported that at the time of his death he was the owner of an interest in a partnership in this state and that the value of such interest was $41,845.77. The appraiser further found that this property was transferred upon the death of the decedent to Frederick C. J. Pusinelli and the order entered upon his report assessed a tax against Frederick C. J. Pusinelli in the sum of $2,260.75. From that order the executors of decedent’s estate and Frederick C. J. Pusinelli, individually, have appealed to this court.
The decedent and Frederick C. J. Pusinelli constituted the firm of Heilbut, Symons & Co., a partnership formed under the laws of Great Britain and Ireland, and doing business at London, England. On January 1,1915, the decedent and Frederick C. J. Pusinelli contributed $100,000 as special partners to the limited partnership of Arnold & Zeiss, a partnership formed under the laws of the state of New York, and having its principal office in the city of New York. The latter
The articles of copartnership of Arnold & Zeiss provide that upon the decease of any member of Heilbut, Symons & Co. the ‘ ‘ surviving member of the firm shall have the benefit and shall assume the burden of all the rights and liabilities of a deceased member of the firm.” The deceased was not only a special partner in Arnold & Zeiss, but was also a member of the firm of Heilbut, Symons & Co., the other member being Pusinelli. Upon the death of the decedent, therefore, Pusinelli became entitled to his interest in the firm of Arnold & Zeiss. The appraiser deducted the decedent’s liabilities to the firm of Arnold & Zeiss and found the value of the benefit which accrued to Pusinelli, as surviving member of Heilbut, Symons & Co., because of the decedent’s interest in the firm of Arnold & Zeiss, to be $41,845.77. There was no competent proof before the appraiser that this interest was not for the individual benefit of Pusinelli. The articles of copartnership of Arnold & Zeiss specifically provide that the surviving member shall have the benefit of the interest of a deceased member. Whether this was modified by the articles of copartnership of Heilbut, Symons & Co. does not appear from the appraiser’s report. In the absence of such proof the court must assume that the benefit going to the survivor under the Arnold & Zeiss articles of copartnership is for the personal benefit of such survivor, and the order assessing the tax against Pusinelli is therefore correct. Order fixing tax affirmed.
Order affirmed.