ROBERT HALF INTERN. v. FRANCHISE TAX BD.

No. A079671.

78 Cal.Rptr.2d 453 (1998)

66 Cal.App.4th 1020

ROBERT HALF INTERNATIONAL, INC., Plaintiff and Appellant, v. FRANCHISE TAX BOARD, Defendant and Respondent.

Court of Appeals of California, First District, Division Five.

As Modified on Denial of Rehearing October 16, 1998.


Attorney(s) appearing for the Case

Glenn A. Smith, Los Angeles, Teresa A. Maloney, Heller, Ehrman, White & McAuliffe, San Francisco, for Plaintiff and Appellant.

Daniel E. Lungren, California Attorney General, Julian O. Standen, Deputy Attorney General, for Defendant and Respondent.


CHAMPLIN, Associate Justice.*

Robert Half International, Inc. appeals from a judgment entered after the trial court granted summary judgment to respondent Franchise Tax Board (FTB). Appellant contends the trial court erred when it ruled appellant was not entitled to deduct against its California corporate franchise tax a "nonbusiness" loss that it had incurred. We agree the court interpreted the applicable statute incorrectly and will...

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