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The court first rejected appellant's claim that 4 U.S.C. § 111 invalidated the State's tax on appellant's federal benefits. Noting that § 111 applies only to federal "employees," the court determined that appellant's status under federal law was that of an "annuitant," rather than an employee.
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Facts of the case. Paul Davis, a resident of Michigan, worked for the federal government and upon retirement received benefits. Michigan law exempts state retirement benefits from state taxes. Smith unsuccessfully petitioned for a refund on the state taxes he paid on his federal retirement benefits. He then filed suit in the Michigan Court of ...
9 mar 2020 · Court of Claims Orders & Opinions. Summary of COC Orders and Opinions PDF (Updated 1/27/2022) (Decided 3/27/2020) John P. Blake v. Michigan Department of Treasury PDF. (Decided 3/23/2020) Robert G. Mannes v. Michigan Department of Treasury PDF. (Decided 3/9/2020) Duetsche Bank Ntl. Trust Co. v. State of Michigan, Department of Treasury PDF.
In Davis v. Michigan Department of Treasury,' the Supreme Court held that a Michigan state statute, which imposed taxes on retirement benefits paid by the. federal government to its retirees, but not retirement benefits paid by the Michigan.