Comptroller of the Treasury, Sales & Use Tax Division v. Chesapeake & Potomac Telephone Co.

566 A.2d 763, 318 Md. 19, 1989 Md. LEXIS 164
CourtCourt of Appeals of Maryland
DecidedDecember 5, 1989
DocketNo. 134
StatusPublished

This text of 566 A.2d 763 (Comptroller of the Treasury, Sales & Use Tax Division v. Chesapeake & Potomac Telephone Co.) is published on Counsel Stack Legal Research, covering Court of Appeals of Maryland primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Comptroller of the Treasury, Sales & Use Tax Division v. Chesapeake & Potomac Telephone Co., 566 A.2d 763, 318 Md. 19, 1989 Md. LEXIS 164 (Md. 1989).

Opinion

ORDER

PER CURIAM.

The Court having considered and granted the petition for writ of certiorari in the above entitled case, it is this 5th day of December, 1989

ORDERED, by the Court of Appeals of Maryland, that the judgment of the Court of Special Appeals of Maryland be, and it is hereby, summarily vacated, Comptroller of the Treasury, Retail Sales Tax Division v. Digi-Data Corporation, 317 Md. 212, 562 A.2d 1259 (1989) and the case remanded to the Court of Special Appeals to consider the remaining issues. Costs to be paid by the Chesapeake and Potomac Telephone Company of Maryland.

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Related

Comptroller of Treasury v. Digi-Data Corp.
562 A.2d 1259 (Court of Appeals of Maryland, 1989)

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Bluebook (online)
566 A.2d 763, 318 Md. 19, 1989 Md. LEXIS 164, Counsel Stack Legal Research, https://law.counselstack.com/opinion/comptroller-of-the-treasury-sales-use-tax-division-v-chesapeake-md-1989.