New York Court of Appeals

John M. Brainard v. the New York Central Railroad Company

February 24, 1926242 N.Y. 125

Summary

The New York Court of Appeals reversed the lower courts, holding that the 1884 tax covenant obligates the lessee to pay only taxes on the property itself and not the lessor's federal income taxes. The court based its decision on a plain‑meaning construction of the contract language and the distinction between property taxes and income taxes.