Decision: n/a |
Argument: n/a vid. tr. |
Whether petitioner properly deducted royalty payments from its foreign affiliates under Tax Law § 208; whether Tax Law § 208 violates the dormant Commerce Clause of the United States Constitution.
n/a
n/a
Decision: n/a |
Argument: n/a vid. tr. |
Whether petitioner properly deducted royalty payments from its foreign affiliates under Tax Law § 208; whether Tax Law § 208 violates the dormant Commerce Clause of the United States Constitution.