In Wynne, the Supreme Court held that Maryland\u27s personal income tax regime violated the dormant Commerce Clause because It taxed income on a residence and source basis without giving a credit to residents for in· come taxed on a source basis by other states. The Court suggested, how· ever, that a state may tax residents on all their Income without providing a credit for taxes paid by other states if the state did not tax nonresidents on income from sources within the state, even though such a taxing regime might result in double taxation of interstate commerce
In this special report, Knoll and Mason discuss how the Massachusetts Supreme Judicial Court should ...
Appellant express company, a Delaware corporation, did only interstate business within the state of ...
The problem of determining the permissible extent of state taxation of interstate commerce is as old...
In Wynne, the Supreme Court held that Maryland\u27s personal income tax regime violated the dormant ...
In Maryland State Comptroller of the Treasury v. Wynne, the Court could reshape core features of dor...
On November 12, 2014, the U.S. Supreme Court heard oral argument in Comptroller of the Treasury v. W...
In Comptroller of the Treasury of Maryland v. Wynne, the United States Supreme Court held unconstitu...
Last Term, a sharply divided Supreme Court decided a landmark dormant Commerce Clause case, Comptrol...
This Article discusses Wynne v. Comptroller, a dormant Commerce Clause case against Maryland pending...
The five-justice Wynne majority used that case to make a major statement about the dormant Commerce ...
The unpredictability of the Supreme Court’s dormant Commerce Clause (“DCC”) jurisprudence continues ...
The article examines the constitutionality of a Maryland tax law focusing on the U.S. Supreme Court ...
The internal consistency test reveals that Maryland applies systematically higher “county” taxes to ...
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 ...
In this special report, Knoll and Mason discuss how the Massachusetts Supreme Judicial Court should ...
Appellant express company, a Delaware corporation, did only interstate business within the state of ...
The problem of determining the permissible extent of state taxation of interstate commerce is as old...
In Wynne, the Supreme Court held that Maryland\u27s personal income tax regime violated the dormant ...
In Maryland State Comptroller of the Treasury v. Wynne, the Court could reshape core features of dor...
On November 12, 2014, the U.S. Supreme Court heard oral argument in Comptroller of the Treasury v. W...
In Comptroller of the Treasury of Maryland v. Wynne, the United States Supreme Court held unconstitu...
Last Term, a sharply divided Supreme Court decided a landmark dormant Commerce Clause case, Comptrol...
This Article discusses Wynne v. Comptroller, a dormant Commerce Clause case against Maryland pending...
The five-justice Wynne majority used that case to make a major statement about the dormant Commerce ...
The unpredictability of the Supreme Court’s dormant Commerce Clause (“DCC”) jurisprudence continues ...
The article examines the constitutionality of a Maryland tax law focusing on the U.S. Supreme Court ...
The internal consistency test reveals that Maryland applies systematically higher “county” taxes to ...
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 ...
In this special report, Knoll and Mason discuss how the Massachusetts Supreme Judicial Court should ...
Appellant express company, a Delaware corporation, did only interstate business within the state of ...
The problem of determining the permissible extent of state taxation of interstate commerce is as old...