Opinion · Supreme Court of the United States

Ayer & Lord Co. v. Commonwealth of Kentucky

26 S. Ct. 679

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1906-05-21
Topic
general

*418 Mr. Justice White, after making the foregoing statement, delivered the opinion of the court. As in the argument counsel for plaintiff in error has not discussed the alleged error in overruling the motion to remove, we treat that question as waived and pass to the merits. Notwithstanding, by the demurrer to the answer, it was conceded that the tie company was the owner of the alleged taxable property, that it was an Illinois corporation and that its main office was in Chicago, that it had paid taxes in Illinois’ upon such property, that the property was employed in interT state commerce between ports of different States, including the State of Illinois, that its steamboats were enrolled at Paducah, Kentucky, for convenience, Kentucky being the place of residence of one of its managing officers, and that its boats touched at Paducah only temporarily, never receiving or discharging cargo at that port, the Court of Appeals of Kentucky held that the property in question was subject to the taxing power of the State of Kentucky. The existence of power, in the State to tax the property in question was rested solely upon the proposition that as the steamboats were enrolled at Paducah, and the name Paducah was painted upon their sterns, it was to be conclusively presumed that the home port of the vessels was at Paducah, and that such home port was the situs of the property for taxation.

Citator

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