U.S. SHOE CORP. v. DEPARTMENT OF REVENUE

No. BK-487.

508 So.2d 1252 (1987)

The UNITED STATES SHOE CORPORATION, Appellant, v. DEPARTMENT OF REVENUE of the State of Florida, Appellee.

District Court of Appeal of Florida, First District.

Rehearing Denied July 16, 1987.


Attorney(s) appearing for the Case

Edward K. Cheffy of Frost & Jacobs, Naples, and Larry H. McMillin, Cincinnati, Ohio, for appellant.

Jim Smith, Atty. Gen., J. Terrell Williams, Asst. Atty. Gen., Tallahassee, for appellee.


NIMMONS, Judge.

This appeal concerns an assessment of an intangible personal property tax in excess of $24,000 under Chapter 199, Florida Statutes, by the Department of Revenue (Department) against the United States Shoe Corporation (U.S. Shoe) for the years 1980 through 1983 against certain accounts receivable held by U.S. Shoe and owed by Florida debtors. After commencing suit in the Circuit Court, pursuant to Section 72.011, Florida Statutes, U.S. Shoe entered...

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