Abstract

A federal district court, by decision dated April 15, held that the Tax Injunction Act bars a theater's claims for declaratory and injunctive relief, where the theater objected to its exclusion from the scope of a tax exemption from city and county amusement taxes accorded to other (more artistic) theaters and similar entities (Admiral Theatre, Inc. v. Cook County Department of Revenue et al. (N. D. Ill.)).

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