Matter of Merry-Go-Round Playhouse, Inc. v. Assessor of City of Auburn

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Petitioner Merry-Go-Round Playhouse, a not-for profit theater corporation, owned real property that it used to house its staff and summer stock actors. Petitioner filed applications for real property tax exemptions under N.Y. Real Prop. Tax Law 420-a. The Assessor of the City of Auburn denied the applications. Supreme Court upheld the denial, determining that Petitioner failed to establish that its summer theater was an exempt purpose and that the use of apartment buildings to house its employees was reasonably incidental to its primary purpose. The Appellate Division reversed. The Court of Appeals affirmed, holding that Petitioner established its entitlement to the tax exemption because the use of the property to provide staff housing was reasonably incidental to Petitioner’s primary purpose of encouraging appreciation of the arts through theater.View "Matter of Merry-Go-Round Playhouse, Inc. v. Assessor of City of Auburn" on Justia Law