Determination of New York City Tax Appeals Tribunal, dated July 28, 2003, which upheld a real property transfer tax deficiency determination, unanimously confirmed, and the petition denied, without costs.
The Tax Appeals Tribunal properly determined that section 11-2101 (7) of the Administrative Code of the City of New York applied to the sale of shares in the cooperative apartment building at issue. Under such authority, the “transfer” of “an economic interest in real property” includes the transfer of “shares of stock in a corporation, . . . whether made by one or several persons, or in one or several related transactions,” where such shares constitute a controlling interest in a corporation. It is uncontested that the shares at issue here, sold by petitioners in unquestionably “related transactions,” constituted a controlling interest, as that term is defined in section 11-2101 (8).
Contrary to petitioners’ contentions, section 11-2102 (b) (2) of the Code does not indicate that shares in cooperative apartments are excluded from the “controlling interest” provision of
