Oklahoma Tax Commission v. Southwestern Bell Telephone Co.
Supreme Court of Oklahoma
1Opinion of the Court
WILLIAMS, Justice.
Appellant, Oklahoma Tax Commission, will hereinafter be referred to as Commission, and plaintiff below cross-appellant here, Southwestern Bell Telephone Company, will be referred to as SW Bell.
SW Bell, a Missouri corporation, is engaged in the business of a telephone public utility. It furnishes intrastate and interstate telephone service to the public in. the States of Oklahoma, Texas, Arkansas, Kansas and Missouri, and a portion of Illinois. It is one of the several corporations owned wholly or in part by the American Telephone & Telegraph Company and, except for…
2Cases cited10 opinions
- Northwestern States Portland Cement Co. v. MinnesotaSupreme Court of the United States · 1959
- Butler Bros. v. McColgan, Franchise Tax CommissionerSupreme Court of the United States · 1942
- Underwood Typewriter Co. v. ChamberlainSupreme Court of the United States · 1920
- D. W. L., Inc. v. Goodner-Van Engineering Co.Supreme Court of Oklahoma · 1962
- Magnolia Petroleum Co. v. Oklahoma Tax CommissionSupreme Court of Oklahoma · 1941
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3Cited by7 opinions
- Home-Stake Production Co. v. Board of EqualizationSupreme Court of Oklahoma · 1966
- Matter of Income Tax Protest of AshlandSupreme Court of Oklahoma · 1988
- Qualls v. Montgomery Ward & Co., Inc.Supreme Court of Arkansas · 1979
- Ashland Exploration, Inc. v. State ex rel. Oklahoma Tax CommissionSupreme Court of Oklahoma · 1988
- Coca Cola Co. v. Department of RevenueOregon Tax Court · 1974
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