Equifax, Inc. v. Mississippi Department of Revenue
Annotate this CaseEquifax, Inc. appealed the State Tax Commission's income tax assessment. Equifax contended its Mississippi taxable income was zero; after an audit, the Commission found that the standard apportionment method prescribed by regulation did not fairly reflect Equifax's business in the state. The Commission used an alternative method and then issued assessments against Equifax. After exhausting administrative remedies, Equifax petitioned the Chancery Court for relief. The Court affirmed the Commission's decision, but the Court of Appeals reversed. Upon review, the Supreme Court concluded that the Chancery Court did not err, and that the alternative apportionment method was not a violation of the State Administrative Procedures Act. Accordingly, the Court reversed the Court of Appeals and reinstated the Chancery Court's judgment.
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