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Cases cited for the legal proposition you have searched for.

...greenhouse gas emissions or the effects of greenhouse gas emissions... including, but not limited to, effects associated with transportation or energy consumption...

...property — (i) is used as an integral part of manufacturing, production, or extraction, or of furnishing transportation, communications, electrical energy, gas, water...be "used as an integral part of manufacturing, production, or extraction, or as an integral part of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal...," "production," "extraction," and the businesses of furnishing "transportation," "communications," "electrical energy," "gas," "water," or "sewage disposal" services are to be given their commonly...

..., processing, publishing, research and development, transportation, energy conversion, energy production, pollution control, warehousing or agriculture;. . . . 72 P. S. § 8102-C.3(15...grantee shall directly use such real estate for the primary purpose of manufacturing, fabricating, compounding, processing, publishing, research and development, transportation, energy conversion, energy production, polluti...$8,528.50, plus interest. The tax was assessed pursuant to Section 1102-C of Article XI-C of the Tax Reform Code of 1971 (Realty Transfer Act or Act...

...— (i) is used as an integral part of manufacturing, production, or extraction or of furnishing transportation, communications, electrical energy, gas, water, or sewage d...of whether it is used as an integral part of manufacturing, production, or extraction or of the furnishing of transportation, communications, electrical energy, gas, water, or sewage disposal services... which are structural components of such buildings or structures). Assets accessory to the operation of a business, such as machinery, printing presses, transportation ...

...gas through pipes or the hauling of oil in tank trucks is transportation of those items. Electrical energy here is carried or transported through the electrical devices under.... Taxation — Sales and use taxes — Conveyance of electrical energy constitutes transportation, when — Property not used "directly in" an activity...another for use in manufacturing constitutes a transportation of such energy. 2. Where the principal use of property claimed to be used "directly in" a particular activity is in...

...guidelines for the mitigation of greenhouse gas emissions or the effects of greenhouse gas emissions as required by [CEQA], including, but not limited to, effects associated with transportation or energy consumptio...).) Generally speaking, the ICCTA requires rail carriers to establish reasonable rates, rules, and practices related to transportation or services; prohibits discriminatory pricing; and establishes...common carrier obligations requiring provision of transportation or services on reasonable request. ( 49 U.S.C. §§ 10702...

..., production, or extraction or of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services...extraction," although there may well be such a requirement with respect to "transportation, communications, electrical energy, gas, water, or sewage disposal services." This is so because the latter..., communications, electrical energy, gas, water, or sewage disposal services may qualify for the credit. Property is to be considered as being used as an integral part of a system of furnishing transportation...

...will unnecessarily and wastefully result in added and cumulative solid waste disposal burdens on existing solid waste facilities [within the state] and/or require expenditure of transportation energy...action; (7) the effect of the proposed action on the use and conservation of energy resources; and (8) a description of the effects of the proposed action on sacred sites or archaeological sites of...allege facts sufficient to confer standing under the statute (§ 22a-16) authorizing any person or entity to bring an action for declaratory or...

...extraction, or of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services, * * * Petitioner contends that the ski slopes and trails...be ‘used as an integral part of manufacturing, production, or extraction, or as an integral part of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal...manufacturing, production, or extraction, or as an integral part of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services by a person engaged in a trade ...

...tanks, "bobtail" trucks or any other vehicles used in connection with any manufacture, transportation, storage, sale or offering for sale of propane or other energy products and/or related service..." name in connection with any propane or energy business owned or in any way managed or operated by any of the Defendants; * use of the "Barrow" name in conjunction...with the use of a blue and white color scheme in any logo for a propane or other energy business owned or in any way managed or operated...

...other public purposes, including roads or highways, other forms of mass transportation, conservation, energy production or transmission, or recreation. If the Commission finds that the properties proposed...service over the line of track (49 U.S.C. sec. 1a(6)), or allow a disposition of the properties for other public purposes, including mass transportation (49 U.S.C. sec. 1a(10... KANSAS CITY AREA TRANSPORTATION AUTHORITY OF THE KANSAS CITY AREA TRANSPORTATION DISTRICT, RESPONDENT, v. JAMES G. ASHLEY, JR., AND OLIVE J. ASHLEY, INDIVIDUALLY AND AS...

...transportation, communications, electrical energy, gas, water, or sewage disposal services, or And, at first blush, the petitioners...other property is used * * * as an integral part of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services by a person engaged in a trade or business of...considered as being used as an integral part of a system of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services only if such property is used by one...

...transportation plan's consistency with the Executive Order, or more particularly with the Executive Order's overarching goal of ongoing greenhouse gas emissions reductions, was therefore a failure to.... We do not intend to suggest the transportation plan must achieve the Executive Order's 2050 goal ...analyze the transportation plan's potential “to degrade the quality of the environment, curtail the range of the environment, or to achieve short-term, to the disadvantage of long-term, environmental...

..., production, or extraction or of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services" under the section 38 umbrella. As relevant here, Treasury Regulation...) tangible property, (2) other than a building or its structural components, which (3) is used as an integral part (4) of furnishing transportation, communications, electrical energy, gas, water, or...furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services. . . . I.R.C. § 1245(a)(3). That the classes of section 38 property...

...property — (i) is used as an integral part of manufacturing, production, or extraction or of furnishing transportation, communications, electrical energy, gas, water, or...: (A) tangible personal property, or (B) other tangible property ( not including a building and its structural components) but only if such...sewage disposal services, or . . . . I.R.C. § 48(a)(1)(A), (B) (1975). (emphasis added). The treasury...

...extraction or of furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services, or (ii) constitutes a research...erroneously concluded that taxpayer's five storage bins were used in connection with manufacturing, production or the furnishing of transportation services within the meaning of Section 48(a...transportation" or a "storage facility used in connection with any of the activities" just referred to. The Tax Court entered findings of fact as set out in its memorandum. Some were...

...shall not apply to property owned or leased by any individual or legal entity whose principal business activity is directly or indirectly the production, transportation or distribution of energy, ...equipped with solar, geothermal, wind, water or methane gas energy systems for the purpose of heating, cooling or generating electrical energy shall be exempt from ad valorem taxation in an amount.... Subsection (2)(b) of the rule defines "property" to exclude land and to require electric energy to be consumed in the functioning or use of the property. Likewise, subsecti...

...requirement with respect to ‘manufacturing, production, or extraction,‘ although there may well be such a requirement with respect to ‘transportation, communications, electrical energy, gas, water, or sewage...furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services may qualify for the credit. Property is to be considered as being used as an integral part of a system of...furnishing transportation, communications, electrical energy, gas, water, or sewage disposal services only if such property is used by one engaged in the trade or business of furnishing such services...

...structural components) but only if such property — (i) is used as an integral part of manufacturing, production, or extraction or of furnishing transportation, communications, electrical energy, gas...— (i) is used as an integral part of manufacturing, production, or extraction or of furnishing transportation, communications, electrical energy, gas, water, or sew...," "communications," "electrical energy," "gas," "water," or "sewage disposal" services are to be given their commonly accepted meaning. Thus, for example, manufacturing or production includes the construction...

...which involves the purchase, sale or exchange of property and its transportation, or the transportation of persons, or the transportation of communications or electrical energy, ...foreign country, either at point of origin or destination. Same — Taxation — Sales and Use Taxes — Foreign Commerce. See Am. Jur. 2d, Commerce § 18...), or unless the imposition of the tax would violate constitutional guarantees. "There is hereby levied and...