HAMACHER v. DIRECTOR OF REVENUE

No. 71870.

779 S.W.2d 565 (1989)

William G. and Marie HAMACHER, Appellants, v. DIRECTOR OF REVENUE, Respondent.

Supreme Court of Missouri, En Banc.

November 14, 1989.


Attorney(s) appearing for the Case

Thomas R. Schwarz, Jr., Jefferson City, P. Terence Crebs, St. Louis, for appellants.

William L. Webster, Atty. Gen., James Deutsch, Asst. Atty. Gen., George Cox, Sp. Asst. Atty. Gen., Jefferson City, for respondent.

Michael J. Kator, David Weiser, Washington, D.C., for amicus curiae Missouri Federation of Chapters of Nat. Ass'n of Retired Federal Employees.


BLACKMAR, Chief Justice.

This case is a sequel to Hackman v. Director of Revenue, 771 S.W.2d 77 (Mo. banc 1989), in which we held that Missouri taxpayers could claim refunds for state income tax paid on federal retirement pay, within the limitation period for filing amended returns. The refunds were made necessary by Davis v. Michigan Department of Treasury, ___ U.S. ___...

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