Fulton Corporation v. Janice H. Faulkner, Secretary of Revenue of North Carolina (516 U.S. 325)
U.S. Supreme Court · decided February 21, 1996 · Supreme Court Database (Spaeth)
- Citation
- 516 U.S. 325 · 116 S. Ct. 848
- Decided
- February 21, 1996
- Term
- October Term 1995
- Vote
- 9–0
- Majority author
- Justice Souter
- Issue area
- Economic Activity
- Disposition
- Reversed and remanded
- Outcome
- Petitioning party won
- Ideological direction
- Conservative
- Constitutional ruling
- State/territorial law held unconstitutional
Opinion excerpt
Justice Souter delivered the opinion of the Court. In this case we decide whether North Carolina’s “intangibles tax” on a fraction of the value of corporate stock owned by North Carolina residents inversely proportional to the corporation’s exposure to the State’s income tax violates the Commerce Clause. We hold that it does. I During the period in question here, North Carolina levied an “intangibles tax” on the fair market value of corporate stock owned by North Carolina residents or having a “business, commercial, or taxable situs” in the State. N. C. Gen. Stat. § 105-203 (1992). Although the tax was assessed at a stated rate of one quarter of one percent, residents were entitled to calculate their tax liability by taking a taxable percentage deduction equal to the fraction of the issuing corporation’s income subject to tax in North Carolina. Ibid. This figure was set by applying a corporate income tax apportionment formula averaging the portion of the issuing corporation’s sales, payroll, and property located in the State. See § 105-130.4(i). Thus, a corporation doing all of its business within the State would pay corporate income tax on 100% of its income, and the taxable percentage deduction allowed to resident owners of that corporation’s stock under the intangibles tax would likewise be 100%. Stock in a corporation doing no business in North Carolina, on the other…
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