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Publisher Description

The issue before this Court is whether certain paper and plastic products1 purchased by the Macke Company and Macke Company of Baltimore (Macke) were resold to Macke's customers within the meaning of Maryland Code (1957, 1980 Repl.Vol., 1984 Cum.Supp.), Art. 81, §§ 372(d)(1) and 324(f)(i), thus excluding Macke's purchase of those products from the Maryland Use Tax.

GENRE
Professional & Technical
RELEASED
1984
December 26
LANGUAGE
EN
English
LENGTH
27
Pages
PUBLISHER
LawApp Publishers
SIZE
72.4
KB