United States Supreme Court

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Dep't of Revenue of Kentucky v. Davis, 06-666

In the context of states/subdivisions' exemption of interest on their own bonds from their state income taxes, which are imposed on bond interest from other states, the Court rules that Kentucky's version of such a differential tax scheme does not offend the Commerce Clause.

Appellate Information

  • Decided 05/19/2008
  • Published 05/19/2008



  • United States Supreme Court