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Lawline v. American Bar Assn

U.S.
Nov 29, 1993
510 U.S. 992 (1993)

Summary

finding that preponderance standard applied in the context of plan confirmation under § 1129 because there were no "quasi-liberty interests at stake"

Summary of this case from In re Patton

Opinion

No. 93-529.

November 29, 1993.

C.A. 7th Cir. Certiorari denied.


Reported below: 956 F. 2d 1378.


Summaries of

Lawline v. American Bar Assn

U.S.
Nov 29, 1993
510 U.S. 992 (1993)

finding that preponderance standard applied in the context of plan confirmation under § 1129 because there were no "quasi-liberty interests at stake"

Summary of this case from In re Patton

Permitting separate classification of creditor who contributed cash to subsidize rentals in moderate to low income housing

Summary of this case from In re Graphic Communications, Inc.

licensing intangible property for use in taxing State and deriving income from such use established substantial nexus for imposition of income-based tax in conformity with commerce clause

Summary of this case from Geoffrey, Inc. v. Commissioner of Revenue

stating that Quill did not extend physical presence requirement beyond sales and use taxes, and concluding that licensing intangible property for use in taxing State established substantial nexus for imposition of income-based tax

Summary of this case from Capital One Bank v. Commissioner of Revenue

limiting Quill's physical-presence test to sales and use taxes

Summary of this case from Capital One Auto Fin., Inc. v. Clougherty
Case details for

Lawline v. American Bar Assn

Case Details

Full title:LAWLINE ET AL. v. AMERICAN BAR ASSN. ET AL

Court:U.S.

Date published: Nov 29, 1993

Citations

510 U.S. 992 (1993)

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