UNITED TELEPHONE CO. v. DEPT. OF REV., 10 OTR 333 (1986)

UNITED TELEPHONE COMPANY OF THE NORTHWEST, INC. v. DEPARTMENT OF REVENUE TC 2037 and 2209In the Oregon Tax Court. December 5, 1986. Taxation — Stock and debt approach — Asset influence method 1. The stock and debt approach, using the “asset influence” method was a credible approach although a lesser weight was assigned to the […]

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