PACIFIC MUT. DOOR CO. v. JAMES

No. C6-90-1493.

465 N.W.2d 696 (1991)

PACIFIC MUTUAL DOOR COMPANY, Appellant, v. John P. JAMES, in his capacity as Commissioner of Revenue, Respondent.

Court of Appeals of Minnesota.

February 5, 1991.


Attorney(s) appearing for the Case

David R. Brennan, Faegre & Benson, Minneapolis, for appellant.

Hubert H. Humphrey, III, Atty. Gen., Thomas K. Overton, Sp. Asst. Atty. Gen., St. Paul, for respondent.

Considered and decided by HUSPENI, P.J., and CRIPPEN and KALITOWSKI, JJ.


OPINION

HUSPENI, Judge.

Pacific Mutual Door Company appeals from a judgment denying its claim for a refund of Minnesota corporate income taxes and alleges that the three-factor apportionment formula found in Minn.Stat. § 290.19 does not properly or justly reflect its income allocable to Minnesota for determination of corporate income taxes. We affirm.

FACTS

Appellant is a Washington corporation...

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