CIN., N.O. & T.P. RY. v. KY. DEPT. OF REV.

No. 84-CA-701-MR.

684 S.W.2d 303 (1984)

CINCINNATI, NEW ORLEANS AND TEXAS PACIFIC RAILWAY COMPANY; and Southern Railroad Company, Appellants, v. KENTUCKY DEPARTMENT OF REVENUE, Appellee.

Court of Appeals of Kentucky.

Discretionary Review Denied February 21, 1985.


Attorney(s) appearing for the Case

Robert L. Maddox, Richard W. Iler, Charles R. Simons, Wyatt, Tarrant & Combs, Louisville, James W. McBride, William C. Antoine, Laughlin, Halle, Clark, Gibson & McBride, Washington, D.C., for appellants.

Nathan Goldman, Legal Services Section Revenue Cabinet, Frankfort, for appellee.

Before COMBS, DUNN and WHITE, JJ.


COMBS, Judge.

The appellants, Southern Railway Company, and its wholly-owned subsidiary, Cincinnati, New Orleans and Texas Pacific Railway Company, operated railroads in Kentucky and other states.

These appeals concern Kentucky income tax for the years 1969 through 1973.

Following an audit, the Department of Revenue found that appellants owed additional income taxes. Appellants appealed to the Kentucky Board of Tax Appeals which entered an order favorable...

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