It was an item of more than routine interest when the Supreme Court, late in the 1973 term, noted probable jurisdiction in two cases raising issues of central importance with respect to state tax power over interstate business. Standard Pressed Steel Co. v. Department of Revenue presented critical questions concerning due process and commerce clause limitations on a state\u27s power to impose an unapportioned gross receipts tax on an interstate vendor; Colonial Pipeline Co. v. Traigle posed the recurring and unresolved question of the scope and vitality of the doctrine that the “privilege” of doing interstate business is immune from state taxation. One might have thought that the Court, after hesitating to enter such controversies for a dec...
Plaintiff gas company, a Delaware corporation, transported gas by pipe line across a section of Miss...
An examination of the current status of state net income taxation on interstate business logically b...
The first part of this Article, State Income Taxation of Multijurisdictional Corporations: Reflecti...
It was an item of more than routine interest when the Supreme Court, late in the 1973 term, noted pr...
The problem of determining the permissible extent of state taxation of interstate commerce is as old...
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The United States Supreme Court has been confronted with numerous issues which require a reconciliat...
The Supreme Court\u27s 1977 decision in Complete Auto Transit, Inc. v. Brady signaled a paradigmatic...
On February 24, 1959, the Supreme Court of the United States, in companion cases, held, by a 6-3 vot...
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...
Plaintiff corporation owned and operated oil pipe lines lying wholly within the state of Mississippi...
Although Congress has plenary power under the commerce clause to regulate state taxation of intersta...
The Supreme Court\u27s outpouring of significant state tax decisions in recent years has elicited li...
The first section of this Article examines three recent cases, each addressed to a different constit...
Plaintiff gas company, a Delaware corporation, transported gas by pipe line across a section of Miss...
An examination of the current status of state net income taxation on interstate business logically b...
The first part of this Article, State Income Taxation of Multijurisdictional Corporations: Reflecti...
It was an item of more than routine interest when the Supreme Court, late in the 1973 term, noted pr...
The problem of determining the permissible extent of state taxation of interstate commerce is as old...
The Supreme Court\u27s decisions delineating the constitutional limitations on state tax power have ...
The United States Supreme Court has been confronted with numerous issues which require a reconciliat...
The Supreme Court\u27s 1977 decision in Complete Auto Transit, Inc. v. Brady signaled a paradigmatic...
On February 24, 1959, the Supreme Court of the United States, in companion cases, held, by a 6-3 vot...
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...
Plaintiff corporation owned and operated oil pipe lines lying wholly within the state of Mississippi...
Although Congress has plenary power under the commerce clause to regulate state taxation of intersta...
The Supreme Court\u27s outpouring of significant state tax decisions in recent years has elicited li...
The first section of this Article examines three recent cases, each addressed to a different constit...
Plaintiff gas company, a Delaware corporation, transported gas by pipe line across a section of Miss...
An examination of the current status of state net income taxation on interstate business logically b...
The first part of this Article, State Income Taxation of Multijurisdictional Corporations: Reflecti...