The relator brings this proceeding to quash the record of the Board of Equalization of the City of St. Louis assessing its property for taxation.
The amended return for taxes of June 1, 1925, shows total assets of all descriptions amounting to $1,185,439.44.
Of this, $451,120 consists of real estate in Missouri, and $3200 in real estate outside of Missouri, on which taxes were paid. Other deductions, including $386,919.43 reserve, show that the remaining taxable assets of the relator are $296,914.01 less than nothing. Notwithstanding that return the Board of Equalization fixed its assessment at $75,000.
Among the deductions is $1000 in each outside of Missouri and premiums uncollected outside of Missouri $220,919.43, which are properly taxable in this State, as decided in State ex rel. American Automobile Insurance Company v. Gehner,
