ASARCO Inc. v. Idaho Tax Comm'n
Appearance
ASARCO Inc. v. Idaho Tax Comm'n | |
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Decided June 29, 1982 | |
Full case name | ASARCO Inc. v. Idaho Tax Comm'n |
Citations | 458 U.S. 307 (more) |
Holding | |
In a state's calculation of income tax for a corporation from another state, the state cannot include income from the intangible assets of subsidiary corporations that have on connection with the state. | |
Court membership | |
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Case opinions | |
Majority | Powell |
Concurrence | Burger |
Dissent | O'Connor, joined by Blackmun, Rehnquist |
ASARCO Inc. v. Idaho Tax Comm'n, 458 U.S. 307 (1982), was a United States Supreme Court case in which the Court held that, in a state's calculation of income tax for a corporation from another state, the state cannot include income from the intangible assets of subsidiary corporations that have on connection with the state.[1][2]