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The following Indiana Tax Court opinion was posted after IL deadline Thursday:
Caterpillar, Inc. v. Indiana Department of State Revenue
49T10-0812-TA-70
Tax. Grants summary judgment in favor of Caterpillar Inc. Finds that Caterpillar’s foreign source dividends are deductible in calculating its Indiana net operating losses, including those available for carryover as a deduction from taxable income in future years under I.C. 6-3-2-2.6.
Friday’s opinions
7th Circuit Court of Appeals
Phillip Jackson and Deborah Jackson v. Bank of America Corp., et al.
12-3338
U.S. District Court, Southern District of Indiana, Indianapolis Division, Judge William T. Lawrence.
Civil. Affirms dismissal of the Jacksons’ action to quiet title and claims that all or some of the defendants negligently evaluated the Jacksons’ ability to repay the loan and that the loan contract was substantively and procedurally unconscionable. The Jacksons can’t show that the institutions actually owed them a duty, and they failed to allege facts that would support any unconscionability determination in Indiana.
United States of America v. Aswan D. Scott
12-2555
U.S. District Court, Southern District of Indiana, Indianapolis Division, Judge Sarah Evans Barker.
Criminal. Affirms denial of Scott’s motion to reduce his sentence after pleading guilty to distribution of 50 or more grams of crack cocaine. Scott was not eligible for a reduced sentence.
The Indiana Supreme Court, Court of Appeals and Tax Court were closed Friday in observance of Good Friday.
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