By North Carolina Judicial Branch
  
      
            Philip Morris USA, Inc. v. N.C. Dep't of Revenue
          Whether N.C.G.S. 105-135.45 is ambiguous regarding application of the term credit allowed when calculating tax credits available to manufacturers of cigarettes for exportation.        
      
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Summary
Whether N.C.G.S. 105-135.45 is ambiguous regarding application of the term credit allowed when calculating tax credits available to manufacturers of cigarettes for exportation.