Search for: "Louisiana v. United States" Results 81 - 100 of 2,348
Sorted by Relevance | Sort by Date
RSS Subscribe: 20 results | 100 results
4 Sep 2015, 11:37 am by Devin C. Reid
A panel of the United States Fifth Circuit consisting of Chief Judge Stewart and Judges Jolly and Graves recently issued a per curiam opinion regarding the effect of the Louisiana Underground Utilities and Facilities Protection Law (the “Louisiana One-Call Statute”). [read post]
  As in other states, Louisiana law requires employers to pay into an unemployment insurance fund to cover the cost of state unemployment benefits. [read post]
13 Aug 2019, 12:08 pm by Trevor Cutaiar
Caldwell argued that the Benoit court’s finding that the vessel had been indefinitely moored was not the standard created the United States Supreme Court in Stewart v. [read post]
3 Jul 2018, 11:08 am by Nonprofit Blogger
The United States District Court for the Eastern District of Louisiana recently held in Rowe v. [read post]
15 Apr 2008, 7:15 pm
March 27th marked six months in the United States without an execution. [read post]
30 Aug 2012, 10:00 pm by Nietzer
On November 3, 2011, a United States District Court in Louisiana denied Norddeutsche Seekabelwerke GmbH’s (“NSW”) motion to dismiss for lack of personal jurisdiction. [read post]
4 Jan 2008, 12:06 pm
United States (06-7517); Bridge v. [read post]
19 Feb 2010, 6:12 pm
§§ 40:76 and 40:77, and that under the Full Faith and Credit Clause of the Constitution of the United States, Louisiana owes full faith and credit to the New York adoption decree that declares J .C. [read post]
11 Apr 2017, 9:46 am by Steven Boutwell
  Under guidance from the United States Supreme Court’s ruling in Daimler AG v. [read post]
24 Jan 2018, 1:49 pm by Mark L. McNamara and Collin R. Melancon
On January 22, 2018, the United States Supreme Court granted review of the Petitioner’s writ of certiorari in Weyerhaeuser Co. v. [read post]
”[8] The Louisiana expense attribution provisions outlined above are based on federal tax  provisions aimed at preventing United States taxpayers from claiming deductions for amounts incurred to generate income not included in federal taxable income by the United States.[9]  There are two Internal Revenue Code  (“Code”) provisions on which the Louisiana law is based: Section 265, which addresses the treatment of… [read post]