This appeal is taken by the executrix of decedent’s estate from the order fixing the transfer tax and the report of the appraiser on the ground that he has proceeded on an erroneous principle in his appraisal of the assets of decedent’s estate taxable as capital invested in business in this state; that he has not correctly apportioned the debts and that the commissions of the executrix have not been properly fixed.
The decedent was a non-resident engaged in this city in the business of selling theatre tickets. The appraiser included in the gross assets of the business the value of stocks and bonds deposited in a bank as collateral for a loan. The proceeds Avere used by decedent in his business; and these securities were properly considered as invested capital.
The appraiser has added to the difference between the liabilities and the assets the sum of $36,329.85 as the value of the good will and has reported the total
The proper method of appraisal was followed in treating the business of decedent as a separate liability and in allowing commissions to the executrix on the net value as a single asset. The report of the ' appraiser will be returned to him for revision and correction in accordance with this decision
Decreed accordingly.