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We wish to cite to the Utah Supreme Court the following statutes as additional authority in support of the arguments c i the Tax Commission of the State of Utah ("Tax Commission") in Chris and Dick's Lumber and Hardware v. Tax Commission of the State of Utah that the statute in question was correctly interpreted by the Tax Commission and that the particular statute was not so vague as to be unconstitutional. See Br, of Resp. at 4-9, The statutes which we wish to cite to the Court, and to which we will refer during oral argument at 2:00 p.m. on Tuesday, November 14, 1989, are:


Original Brief Submitted to the Utah Supreme Court; digitized by the Howard W. Hunter Law Library, J. Reuben Clark Law School, Brigham Young University, Provo, Utah; machine-generated OCR, may contain errors.
Attorney General of Utah.
R. La Mar Bishop; Attorney for Appellant.


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