HOMESTAKE LEAD CO. v. DIRECTOR OF REVENUE

No. 70289.

759 S.W.2d 847 (1988)

HOMESTAKE LEAD COMPANY OF MISSOURI, et al., Appellants, v. DIRECTOR OF REVENUE, State of Missouri, Respondent.

Supreme Court of Missouri, En Banc.

November 15, 1988.


Attorney(s) appearing for the Case

Byron E. Francis, St. Louis, for appellants.

William L. Webster, Atty. Gen., Mark Siedlik, Asst. Atty. Gen., Jefferson City, for respondent.


BLACKMAR, Judge.

The taxpayers, Homestake Lead Company of Missouri and Homestake Smelting Company, are wholly owned subsidiaries of Homestake Mining Company. All are California corporations. Taxpayers are engaged principally in the mining and processing of lead in Missouri. For the tax years in issue, 1976, 1977, 1978 and 1979 for "Lead," and 1977 and 1979 for "Smelting," each filed a separate Missouri corporation income tax return, making use of the single factor...

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