Comcast Corp. v. Dept. of Rev.
Annotate this CaseThis case was a direct appeal of an Oregon Tax Court Regular Division decision to set aside an Opinion and Order issued by the Director of the Department of Revenue. The primary issue this case presented to the Supreme Court was whether either Comcast's cable television service or internet access service qualified as "communication" under ORS 308.515(1)(h) and was, therefore, subject to central assessment by the department. In this case, whether Comcast's cable television service or internet access service qualified as a "communication" service or business depended on whether either service was a "data transmission service." The Tax Court concluded that Comcast's internet access service, but not its cable television service, was a data transmission service. Furthermore, the Tax Court concluded that Comcast's cable television service was the primary use of the property that Comcast uses for both. Consequently, pursuant to ORS 308.510(5), the Tax Court determined that the property that Comcast used for the two services was not subject to central assessment for the 2009-2010 tax year, contrary to the department's determination. Both parties appealed. The Supreme Court held that both the cable television and internet access services qualified as data transmission services and were, therefore, communication services subject to central assessment under ORS 308.515(1)(h).
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