Chesapeake & Potomac Telephone Co. v. State Tax Commission
Court of Appeals of Maryland
1Opinion of the CourtPattison, J.
The Chesapeake t Potomac Telephone Company, the appellant, pursuant to the right conferred upon it by section 253 of article 81 of the Code of .Public General Laws of Alaryland, appealed to the State Tax Commission from the valuation and assessment of its property made by the Appeal Tax Court of Baltimore City, for the purpose of taxation for the year 1026. The grounds of the appeal, as stated in the petition, were: “That the assessments are exorbitant and unreasonable and unlawful, and in excess of the value of the properties of the petitioner * * *, and is not uniform with other properties…
2Cases cited5 opinions
- Mayor of Batimore v. BonaparteCourt of Appeals of Maryland · 1901
- Consolidated Gas Co. v. Mayor of BaltimoreCourt of Appeals of Maryland · 1907
- Postal Telegraph Cable Co. v. County CommissionersCourt of Appeals of Maryland · 1917
- Fidelity Trust Co. v. GormanCourt of Appeals of Maryland · 1919
- Mayor of Baltimore v. Chesapeake & Potomac Telephone Co.Court of Appeals of Maryland · 1917
3Cited by5 opinions
- State Tax Commission v. Chesapeake & Potomac Telephone Co.Court of Appeals of Maryland · 1949
- Weil v. Supervisor of AssessmentsCourt of Appeals of Maryland · 1972
- State Tax Commission v. Brandt Cabinet Works, Inc.Court of Appeals of Maryland · 1953
- Oak Lawn Cemetery v. County CommissionersCourt of Appeals of Maryland · 1938
- SUPERVISOR OF ASSESSMENTS OF CALVERT CTY. v. St. Leonard Shores Joint Ven.Court of Special Appeals of Maryland · 1985