UNITED ARTISTS CORP. v. TREASURY DEPT.

Docket No. 22881.

66 Mich. App. 289 (1975)

238 N.W.2d 841

UNITED ARTISTS CORPORATION v. DEPARTMENT OF TREASURY

Michigan Court of Appeals.

Decided December 10, 1975.


Attorney(s) appearing for the Case

Hyman & Rice (Donald Schiff, of counsel), for United Artists Corporation.

Frank J. Kelley, Attorney General, Robert A. Derengoski, Solicitor General, and Richard R. Roesch and Charles E. Liken, Assistants Attorney General, for the Department of Treasury.

Before: ALLEN, P.J., and BRONSON and R.M. MAHER, JJ.


ALLEN, P.J.

Taxpayer, United Artists Corporation, appeals by leave granted from the September 12, 1974 decision of the Corporation Tax Appeal Board [CTAB] upholding the determination by the Corporation Franchise Fee Division [CFFD] that taxpayer owed additional franchise taxes for 1965 through 1970.

Taxpayer, a Delaware corporation with principal offices in New York City and authorized to conduct business in Michigan, is in the motion picture business. Following...

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