In today\u27s context of expanded human mobility, an individual\u27s right to travel from, through, or to any of the United States without state restriction on or regulation of his admission or departure enjoys well-settled constitutional protection originating from two distinct sources. The interstate transportation of persons is governed by the commerce clause under which state power to regulate and tax the admission and departure of interstate passengers is restricted, but not entirely forbidden
Petitioner brought an action in an Arkansas state court to enjoin enforcement of a state statute whi...
States constitutionally impose individual income taxes on two bases: (1) Residency: a state of resid...
This article reviews some federal and state constitutional law challenges to tax legislation in the ...
Plaintiff, an interstate air carrier, was incorporated in Delaware, and the home port of its planes ...
I. Introduction II. Traditional Constitutional Sources … A. Privileges and Immunities of State and N...
Appellant, a Missouri corporation, was domiciled in Illinois and engaged in interstate trucking of c...
The United States Supreme Court has been confronted with numerous issues which require a reconciliat...
The first section of this Article examines three recent cases, each addressed to a different constit...
A New York statute imposed a tax of two per cent on the gross receipts of all utilities doing busine...
Since Gibbons v. Ogden, courts have wrestled with the problem of state legislation which affects int...
Perennial indeed have been the problems of state taxation affecting interstate commerce and the prob...
In the discussion of a topic of this nature, my purpose is to restrict and not to enlarge the field ...
On being refused a license, a carrier operating under the provisions of the Federal Motor Carrier Ac...
Action was brought to recover ad valorem taxes assessed and collected by the City of New Orleans and...
Article 1, section 10 of the Constitution provides, No State shall, without the consent of Congress...
Petitioner brought an action in an Arkansas state court to enjoin enforcement of a state statute whi...
States constitutionally impose individual income taxes on two bases: (1) Residency: a state of resid...
This article reviews some federal and state constitutional law challenges to tax legislation in the ...
Plaintiff, an interstate air carrier, was incorporated in Delaware, and the home port of its planes ...
I. Introduction II. Traditional Constitutional Sources … A. Privileges and Immunities of State and N...
Appellant, a Missouri corporation, was domiciled in Illinois and engaged in interstate trucking of c...
The United States Supreme Court has been confronted with numerous issues which require a reconciliat...
The first section of this Article examines three recent cases, each addressed to a different constit...
A New York statute imposed a tax of two per cent on the gross receipts of all utilities doing busine...
Since Gibbons v. Ogden, courts have wrestled with the problem of state legislation which affects int...
Perennial indeed have been the problems of state taxation affecting interstate commerce and the prob...
In the discussion of a topic of this nature, my purpose is to restrict and not to enlarge the field ...
On being refused a license, a carrier operating under the provisions of the Federal Motor Carrier Ac...
Action was brought to recover ad valorem taxes assessed and collected by the City of New Orleans and...
Article 1, section 10 of the Constitution provides, No State shall, without the consent of Congress...
Petitioner brought an action in an Arkansas state court to enjoin enforcement of a state statute whi...
States constitutionally impose individual income taxes on two bases: (1) Residency: a state of resid...
This article reviews some federal and state constitutional law challenges to tax legislation in the ...