BENNEY
v.
SHAW INDUSTRIES, INC., ET AL.

U.S. | 1997-06-23
No. 96-8743
Justice O’Connor took no part in the consideration or decision of this petition.
521 U.S. 1112 Supreme Court of the United States (1997) Positive Treatment
Cited by 1 case

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Cases With Similar Vibessemantic neighbors from the corpus


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  • Colgate-Palmolive Co. v. Fla. Dep't OF Revenue, 988 So. 2d 1212 (Fla. 1st DCA 2008)
    …2d 445, 448-49 (2000) (recognizing the validity of the “taxing symmetry” principle where domestic and foreign subsidiaries are both taxed once); Conoco, Inc. v. Taxation & Revenue Dep’t, 122 N.M. 736, 931 P. 2d 730, 735 (1996) (same), cert. denied, 521 U.S. 1112, 117 S.Ct. 2497, 138 L.Ed.2d 1003 (1997); Bernard Egan & Co. v. State, Dep’t of Rev., 769 So. 2d 1060, 1061 (Fla.Dist.Ct.App.2000) (upholding similar taxing regime as constitutional because domestic and foreign subsidiary income was equally treated…

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