
    PATTERSON v. BOARD OF REVIEW OF GRAYLING TOWNSHIP.
    Taxation — Exemptions—Law Library.
    Under section 9, subd. 7, of the general tax law (Act No. 206, Pub. Acts 1893), which provides that the library of every individual shall be exempted from taxation,' a law library belonging to an individual is exempt.
    
      Certiorari to Crawford; Sharpe, J.
    Submitted October 9, 1900.
    Decided November 7, 1900.
    
      
      Mandamus by Joseph Patterson, prosecuting attorney, to compel the board of review of Grayling township to restore to the assessment roll a law library stricken from the roll as exempt. From an order granting the writ, respondent brings certiorari.
    
    Reversed.
    
      Joseph Patterson, in pro. per.
    
    
      George L. Alexander, for respondent.
   Per Curiam.

The only question in this case is “whether a law library is exempt from taxation,” under the provisions of section 9 of the tax law (Act No. 206, Pub. Acts 1893), which provides:

“The following personal property shall be exempted from taxation, to wit: * * * 7. The library, family pictures, school books, one sewing machine used' and owned by each individual or family, and wearing apparel of every individual.”

We think that libraries belonging to individuals, whatever may be their character, are exempt under this section, and such we understand to have been the uniform interpretation that has heretofore been placed upon it.

The order of the circuit court is reversed, and a mandamus denied.  