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- Income tax (3)
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- Delaware corporations (2)
- Kentucky (2)
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- Property taxes (2)
- Branch offices (1)
- Brush v. Commissioner of Internal Revenue (1)
- Brushaber v. Union Pacific R. R. Co. (1)
- Burden (1)
- Chain banking businesses (1)
- Commerce clause (1)
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- Compensating taxes (1)
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- Electric current (1)
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- Excise taxes (1)
- Federal Restrictions (1)
- First Bank Stock Corporation v. Minnesota (1)
- Front foot rule (1)
- Ft. Worth (1)
- Gas (1)
Articles 1 - 17 of 17
Full-Text Articles in Taxation-State and Local
Indiana Gross Income Tax Act-Interstate Commerce
Indiana Gross Income Tax Act-Interstate Commerce
Indiana Law Journal
No abstract provided.
Taxation - Jurisdiction To Tax Intangibles - Business Situs, William Stout Gordon
Taxation - Jurisdiction To Tax Intangibles - Business Situs, William Stout Gordon
Michigan Law Review
The appellant, a Delaware corporation doing business in Minnesota, held the controlling interest in the stock of a large number of banks in numerous states. It transacted its corporate business and fiscal affairs in Minnesota and maintained a business office there. A property tax was imposed by Minnesota upon appellant's shares of stock in Montana and North Dakota state banking corporations. Appellant contended that, since Montana and North Dakota had imposed a property tax on the same shares, the Minnesota tax was contrary to the Fourteenth Amendment. The Court held that the shares of stock had acquired a "business situs" …
Tax Laws Of Indiana As They Relate To Corporations For Profit, Harriet W. Bouslog, Robert C. Brown
Tax Laws Of Indiana As They Relate To Corporations For Profit, Harriet W. Bouslog, Robert C. Brown
Indiana Law Journal
No abstract provided.
The Doctrine Of Constructive Fraud In The Washington Law Of Taxation, John N. Rupp
The Doctrine Of Constructive Fraud In The Washington Law Of Taxation, John N. Rupp
Washington Law Review
Two recent Washington decisions, Bellingham Development Co. v. Whatcom County and Grays Harbor Pac. R. Co. v. Grays Harbor County present separate phases of a problem which has been frequently considered by the Supreme Court of Washington and concerning which that court has formulated a general rule: namely, that the court will relieve a taxpayer from the burden of an excessive tax where the conduct of the taxing officers has been so improper that it can be called "constructively fraudulent", even though the officers acted in good faith. The rule is clearly a proper one, but, like so many "general …
Taxation Of State Agencies And Instrumentalities
Taxation Of State Agencies And Instrumentalities
Indiana Law Journal
No abstract provided.
Constitutional Law - Validity Of A Compensating Use Tax - Commerce Clause, William J. Isaacson
Constitutional Law - Validity Of A Compensating Use Tax - Commerce Clause, William J. Isaacson
Michigan Law Review
Plaintiffs, appellees in this court, while engaged in the construction of a federal dam, brought into the state machinery purchased at retail in other states. The Washington Tax Commission demanded payment of a use tax on the machinery so purchased as required by the 1935 tax statutes. The plaintiffs refused to comply with the commission's order and received an in junction in the federal district court. The Washington legislature, under the heading "Compensating Tax," levied a two per cent excise on the use of all personal property purchased at retail after the effective date, the tax to be measured by …
Taxation - Jurisdiction Of A State To Tax Personal Incomes, Jack L. White
Taxation - Jurisdiction Of A State To Tax Personal Incomes, Jack L. White
Michigan Law Review
There have been comparatively few decisions of the United States Supreme Court involving questions of the jurisdiction of a state to impose income taxes, so that each case that has been reported has called for an adjustment of the earlier statements of the law in that field. Such a case was recently decided. It is the purpose of this comment to consider the earlier cases in the light of that decision, and to determine what proportion of the income of a resident, and of a non-resident, a state may tax.
Taxation - Business Situs Of Intangibles - Assets, Donald H. Larmee
Taxation - Business Situs Of Intangibles - Assets, Donald H. Larmee
Michigan Law Review
Defendant holding company, a Delaware corporation, was engaged in a chain banking business in the northwest. It held the stocks of its subsidiaries, the banks, at its business headquarters, which was located in Minnesota. The holding company protested the payment of the Minnesota money and credits tax on stocks of six Montana and two North Dakota subsidiary banks. The holding company argued that it had already paid a tax on the stock to the states in which the banks were incorporated, and that the Minnesota tax thus resulted in double taxation and was contrary to the due process clause of …
Taxation - Exemption Of Federal Instrumentality -Property Of A Governmental Agency Used For Non-Governmental Purpose, Virginia M. Renz
Taxation - Exemption Of Federal Instrumentality -Property Of A Governmental Agency Used For Non-Governmental Purpose, Virginia M. Renz
Michigan Law Review
Oklahoma attempted to tax property used by the lessee of restricted Indian land in producing oil and gas. It was argued that the property was not taxable because the lessee was a federal instrumentality, and Congress had not consented to its taxation. Held, property is not exempt from a non-discriminatory ad valorem state tax merely because it is the property of a federal instrumentality. There should be no exemption unless the taxation imposes a direct burden upon the exertion of a federal governmental power. Taber v. Indian Territory Illuminating Oil Co., (U. S. 1937) 57 S. Ct. 334.
Taxation - Situs Of Intangibles - Business Situs, Michigan Law Review
Taxation - Situs Of Intangibles - Business Situs, Michigan Law Review
Michigan Law Review
A manufacturing corporation incorporated in Delaware and maintained a nominal office there, but had branch offices and factories in several states. Its principal office was in West Virginia. All contracts made by the branch offices were subject to approval by the home office and withdrawals from the bank deposits in the several states were under the control of the home office. A West Virginia statute placed an ad valorem property tax on corporations whose bank deposits and accounts receivable were "liable to taxation." The state court applied the statute to the bank deposits in banks outside the state and to …
Taxation - Special Assessments For Street Lighting, Herbert J. Bloom
Taxation - Special Assessments For Street Lighting, Herbert J. Bloom
Michigan Law Review
The city of Los Angeles, under the authority of the "Public Works and Utility Act" of California, passed two ordinances levying special assessments for street lighting purposes upon abutting property specially benefited according to the front foot rule. The validity of the ordinance ordering the necessary lighting posts and appliances, which were installed before the present proceeding was brought, was conceded. The other ordinance provided for the furnishing of electric current to light the public streets for a period of fourteen months. This was contested by the plaintiff, who owned three lots subject to the assessment, on the ground that …
Excise Taxes And The Uniformity Clause Of The Constitution Of Kentucky, E. G. Trimble
Excise Taxes And The Uniformity Clause Of The Constitution Of Kentucky, E. G. Trimble
Kentucky Law Journal
No abstract provided.
A Survey Of The Maryland Income Tax Law, James T. Carter
A Survey Of The Maryland Income Tax Law, James T. Carter
Maryland Law Review
No abstract provided.
Constitutional Aspects Of Reduction In State Property Tax, Herbert M. Brune Jr.
Constitutional Aspects Of Reduction In State Property Tax, Herbert M. Brune Jr.
Maryland Law Review
No abstract provided.
Validity Of State Compensating Tax On Use Within State Of Chattels Purchased Outside State. Henneford V. Silas Mason Company, Inc.
Maryland Law Review
No abstract provided.
Taxation--Constitutional Law--Discrimination As To Rate, Louis H. Levitt
Taxation--Constitutional Law--Discrimination As To Rate, Louis H. Levitt
Kentucky Law Journal
No abstract provided.
Taxation-Validity Of Tax On Income Of Superintendent Of School Cafeteria System -Sovereign Immunity, Elbridge D. Phelps
Taxation-Validity Of Tax On Income Of Superintendent Of School Cafeteria System -Sovereign Immunity, Elbridge D. Phelps
Michigan Law Review
Petitioners, husband and wife, residents of Texas, made returns of community income for the year 1932, listing as exempt the salary of the wife who was superintendent of a non-profit cafeteria system operated by the Ft. Worth public schools for the exclusive patronage and benefit of teachers and students. The Commissioner of Internal Revenue refused the exemption and levied a deficiency tax of $105. On appeal from an affirmance of the commissioner's decision by the Board of Tax Appeals, held, reversed on the ground that the operation of the cafeteria system was a proper exercise of a governmental function …