OAG 74-897 is cited in the decision to support the argument that institutions of purely public charity are not exempt from the real estate transfer tax unless specifically exempted by statute, and this rationale is applied to educational institutions under Section 170 of the Kentucky Constitution.
OAG 74-897 was Cited by OAG 81-276
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Disclaimer:
The Sunshine Law Library is not exhaustive and may contain errors from source documents or the import process. Nothing on this website should be taken as legal advice. It is always best to consult with primary sources and appropriate counsel before taking any action.
The Sunshine Law Library is not exhaustive and may contain errors from source documents or the import process. Nothing on this website should be taken as legal advice. It is always best to consult with primary sources and appropriate counsel before taking any action.