ACHILLION PHARMACEUTICALS, INC. v. LAW

No. 18175.

970 A.2d 57 (2009)

291 Conn. 525

ACHILLION PHARMACEUTICALS, INC. v. Pamela LAW, Commissioner of Revenue Services.

Supreme Court of Connecticut.

Decided May 19, 2009.


Attorney(s) appearing for the Case

Charles H. Lenore, with whom was Daniel L. Gottfried, Hartford, for the appellant (plaintiff).

Philip Miller, assistant attorney general, with whom were Louis P. Bucari, Jr., and, on the brief, Richard Blumenthal, attorney general, and Susan Quinn Cobb, assistant attorney general, for the appellee (defendant).

NORCOTT, PALMER, VERTEFEUILLE, SCHALLER and SULLIVAN, Js.


VERTEFEUILLE, J.

In this tax appeal, we consider whether the trial court properly interpreted and applied the terms and provisions of General Statutes §§ 12-217CC1 and 12-217n,2 which concern business tax credits for certain research and development expenses. The plaintiff, Achillion Pharmaceuticals, Inc., appealed to the Superior Court, pursuant to General Statutes § 12-237,

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