JAPAN LINE v. McCAFFREE, 88 Wn.2d 93 (1977)

558 P.2d 211 JAPAN LINE, LTD., ET AL, Petitioners, v. MARY ELLEN McCAFFREE, Respondent. No. 44217.The Supreme Court of Washington. En Banc. January 7, 1977. [1] Taxation — Retrospective Application — Due Process. The retrospective application of a tax generally does not violate due process of law when the tax is for general government rather […]

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