S.C. JOHNSON & SON, INC. v. DOR

No. 95-3215.

202 Wis.2d 714 (1996)

552 N.W.2d 102

S.C. JOHNSON & SON, INC., Petitioner-Appellant, v. WISCONSIN DEPARTMENT OF REVENUE, Respondent-Respondent.

Court of Appeals of Wisconsin.

Decided June 6, 1996.


Attorney(s) appearing for the Case

For the petitioner-appellant the cause was submitted on the briefs of Timothy C. Frautschi of Foley & Lardner of Milwaukee.

For the respondent-respondent the cause was submitted on the brief of James E. Doyle, attorney general, and Gerald S. Wilcox, asst. attorney general.

Before Gartzke, P.J., Sundby and Vergeront, JJ.


VERGERONT, J.

S.C. Johnson & Son, Inc. (taxpayer) appeals from an order affirming the determination of the Wisconsin Tax Appeals Commission that certain of the taxpayer's real estate is not "manufacturing property" within the meaning of § 70.995, STATS.1 Manufacturing property is assessed by the Department of Revenue, rather than by the local assessor. Section 70.995(5). We conclude...

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