The proper nexus standard for state taxation of out-of-state corporations has been a contentious issue since the U.S. Supreme Court decided Quill Corp. v. North Dakota in 1992. In that case, the Court upheld a physical presence standard, but numerous state courts have since affirmed economic presence standards, holding that the state can tax corporations with no physical presence within its borders. This Note examines the evolution of state taxation of out-of-state corporations, including some of the most recent state tax court decisions on the topic, and analyzes whether there are any overarching principles that may be gleaned from the various decisions. The Note then considers possible consequences of the proliferation of the econ...
The Supreme Court has long debated the existence and scope of its power to restrict state regulation...
The purpose of this Article is twofold: first, to analyze the Mobil and Exxon decisions; second, to ...
The first part of this Article, State Income Taxation of Multijurisdictional Corporations: Reflectio...
The proper nexus standard for state taxation of out-of-state corporations has been a contentious is...
In order to justify taxation of a person, a country must establish that some connection exists betwe...
This article discusses the theory of economic nexus, the present nexus conditions in various states,...
Over twenty years ago, the Supreme Court of the United States decided that an entity must have a “ph...
If the field of state taxation has become somewhat of an academic backwater, it is not for want of i...
On June 21, 2018, the Supreme Court in South Dakota v. Wayfair eliminated the sales tax physical pre...
The economic nexus standard has gained significant support during the last decade as the proper stan...
An examination of the current status of state net income taxation on interstate business logically b...
On February 24, 1959, the Supreme Court of the United States, in companion cases, held, by a 6-3 vot...
In his Note, Beyond BA TSA: Getting Serious About State Corporate Tax Reform, Quinn Ryan provides us...
The economic nexus standard has gained significant support during the last decade as the proper stan...
The state tax field is enjoying a renaissance of sorts. The Supreme Court has displayed a renewed in...
The Supreme Court has long debated the existence and scope of its power to restrict state regulation...
The purpose of this Article is twofold: first, to analyze the Mobil and Exxon decisions; second, to ...
The first part of this Article, State Income Taxation of Multijurisdictional Corporations: Reflectio...
The proper nexus standard for state taxation of out-of-state corporations has been a contentious is...
In order to justify taxation of a person, a country must establish that some connection exists betwe...
This article discusses the theory of economic nexus, the present nexus conditions in various states,...
Over twenty years ago, the Supreme Court of the United States decided that an entity must have a “ph...
If the field of state taxation has become somewhat of an academic backwater, it is not for want of i...
On June 21, 2018, the Supreme Court in South Dakota v. Wayfair eliminated the sales tax physical pre...
The economic nexus standard has gained significant support during the last decade as the proper stan...
An examination of the current status of state net income taxation on interstate business logically b...
On February 24, 1959, the Supreme Court of the United States, in companion cases, held, by a 6-3 vot...
In his Note, Beyond BA TSA: Getting Serious About State Corporate Tax Reform, Quinn Ryan provides us...
The economic nexus standard has gained significant support during the last decade as the proper stan...
The state tax field is enjoying a renaissance of sorts. The Supreme Court has displayed a renewed in...
The Supreme Court has long debated the existence and scope of its power to restrict state regulation...
The purpose of this Article is twofold: first, to analyze the Mobil and Exxon decisions; second, to ...
The first part of this Article, State Income Taxation of Multijurisdictional Corporations: Reflectio...