1. Associated Indus. v. Lohman, No. 93-397 , SUPREME COURT OF THE UNITED STATES, March 28, 1994, Argued , May 23, 1994, Decided
OVERVIEW: A statewide use tax was not a valid compensatory tax because local sales taxes did not precisely counterbalance the differential burdens placed by the tax on interstate and intrastate commerce as required by the Commerce Clause.
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