11 Mills Surr. 506 | N.Y. Sur. Ct. | 1914
The comptroller moves that a transfer tax be fixed upon the transfer of contingent remainder interests which have vested in possession upon the death of the intermediate tenant and that the date of the accrual of such tax be declared.
The life tenant died on June 12, 1912. In the order made in 1900, by which the tax was adjusted upon the transfer of the life estate, the value of the estate involved was stated at $13,445.43. It is conceded that this value was erroneous and that the true value was $11,445.43.
But the comptroller insists that he is entitled to avail himself of this wrong determination as against the remaindermen as an adjudication and that the tax now to be fixed must, therefore, be calculated upon a confessedly fictitious amount.
The present value of the transfer in remainder is $11,330.-28, and the date of the accrual of the tax is declared for practical convenience to be the 2d day of June, 1912.
Decreed accordingly.