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Supreme Court of the United States. ________________ FR. Petitioner, v. IGAN DEPARTMENT OF T. Respondent. ____________________ ON PETITION FOR A WRIT OF CERTIORARI TO THE SUPREME COURT OF MICHIGAN. ____________________ BRIEF OF THE INSTITUTE FOR PROFESSIONALS IN TAXATION AS AMICUS CURIAE IN SUPPORT OF PETITIONER. _____________________ MARK A. LOYD
v. Tax Tribunal No. 17-000150-TT. MICHIGAN DEPARTMENT OF TREASURY, Defendant-Appellant. AMICUS CURIAE BRIEF OF MICHIGAN BANKERS ASSOCIATION. FILED UNDER AO 2019-6. Dated: December 1, 2021. Gaëtan Gerville-Réache (P68718) WARNER NORCROSS + JUDD LLP.
STATE OF MICHIGAN IN THE SUPREME COURT. Appeal from the Michigan Court of Appeals Tukel, P.J., and Sawyer and Riordan, JJ. VECTREN INFRASTRUCTURE SERVICES CORP., . Plaintiff-Appellee, v. ARTMENT OF TREASURY, Defendant-Appellant. / Supreme Court No. 163742. Court of Appeals No. 345462. Court of Claims No. 17-000107-MT.
courts. Notably, COST has filed amicus briefs addressing Michigan issues in: Int’I Bus. Machines, Inc. v. Dep’t of Treasury, 496 Mich. 642, 852 N.W.2d 865 (2016); Thompson Reuters, Inc. v. Dep’t of Treasury, 2014 Mich. App. Lexis 836 (2014); General Motors v. Dep’t of Treasury, 290 Mich. App. 355, 803 N.W.2d 698 (2010);
Supreme Court of the United States. ———— MMN INFRASTRUCTURE SERVICES, LLC, Petitioner, v. MICHIGAN DEPARTMENT OF TREASURY, Respondent. ———— On Petition for Writ of Certiorari to the Michigan Supreme Court. ———— BRIEF AMICUS CURIAE OF COUNCIL ON STATE TAXATION IN SUPPORT OF PETITIONER. November 15, 2023. ———— KARL FRIEDEN. Counsel of Record.
Brief of respondent Michigan Department of Treasury in opposition filed. VIDED. Mar 24 2017: ... Party name: Michigan Department of Treasury: Other: Karl A. Frieden: Council on State Taxation (202) 484-5222: 122 C Street NW, Suite 330 : Washington, DC 20001: kfrieden@cost.org:
22 maj 2017 · International Business Machines Corp. v. Michigan Department of Treasury. Issues: (1) Whether a state, without violating the constitutional bar against the impairment of contracts, can retroactively withdraw from the Multistate Tax Compact so as to divest taxpayers of benefits under that compact for a period of 6 1/2 years before that withdrawal;