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Citation: 400 U.S. 4

1. United States v. Maryland Savings-Share Ins. Corp., No. 160, SUPREME COURT OF THE UNITED STATES, October 19, 1970, Decided

OVERVIEW: Cutoff date set forth in an Internal Revenue Code tax exemption for insurers of savings and loan associations was constitutional, where Congress set forth a rational basis for not extending the cutoff date to include insurer.


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