Whatever role internal consistency may come to play in the Court\u27s commerce clause jurisprudence, it has already emerged as a doctrine that warrants our attention. This article traces the development of the doctrine, explores its implications, and considers its defensibility as a limitation on state taxing power. The article suggests that the results the Court reaches under the internal consistency doctrine could be reached by rigorous application of a more familiar commerce clause principle - one to which the Court has been less than faithful
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The first section of this Article examines three recent cases, each addressed to a different constit...
The U.S. Supreme Court has on numerous occasions addressed the constitutionality of state taxes unde...
Before 1983, the Supreme Court had never uttered the phrase internal consistency in a state tax op...
Under the internal consistency doctrine articulated by the U.S. Supreme Court under the dormant Co...
Whatever role internal consistency may come to play in the Court\u27s commerce clause jurisprudenc...
On November 12, 2014, the U.S. Supreme Court heard oral argument in Comptroller of the Treasury v. W...
The article examines the constitutionality of a Maryland tax law focusing on the U.S. Supreme Court ...
The Supreme Court\u27s 1977 decision in Complete Auto Transit, Inc. v. Brady signaled a paradigmatic...
Few questions in recent years have spawned as much controversy and as little academic interest as th...
Last Term, a sharply divided Supreme Court decided a landmark dormant Commerce Clause case, Comptrol...
The unpredictability of the Supreme Court’s dormant Commerce Clause (“DCC”) jurisprudence continues ...
In Jefferson Lines (1995), the U.S. Supreme Court may appear to have retreated from the economic-sub...
Few questions in recent years have spawned as much controversy and as little academic interest as th...
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The first section of this Article examines three recent cases, each addressed to a different constit...
The U.S. Supreme Court has on numerous occasions addressed the constitutionality of state taxes unde...
Before 1983, the Supreme Court had never uttered the phrase internal consistency in a state tax op...
Under the internal consistency doctrine articulated by the U.S. Supreme Court under the dormant Co...
Whatever role internal consistency may come to play in the Court\u27s commerce clause jurisprudenc...
On November 12, 2014, the U.S. Supreme Court heard oral argument in Comptroller of the Treasury v. W...
The article examines the constitutionality of a Maryland tax law focusing on the U.S. Supreme Court ...
The Supreme Court\u27s 1977 decision in Complete Auto Transit, Inc. v. Brady signaled a paradigmatic...
Few questions in recent years have spawned as much controversy and as little academic interest as th...
Last Term, a sharply divided Supreme Court decided a landmark dormant Commerce Clause case, Comptrol...
The unpredictability of the Supreme Court’s dormant Commerce Clause (“DCC”) jurisprudence continues ...
In Jefferson Lines (1995), the U.S. Supreme Court may appear to have retreated from the economic-sub...
Few questions in recent years have spawned as much controversy and as little academic interest as th...
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The first section of this Article examines three recent cases, each addressed to a different constit...
The U.S. Supreme Court has on numerous occasions addressed the constitutionality of state taxes unde...