Bill Backstrom, a partner and leader of the firm's Tax Practice Group, was quoted in the Tax Notes article “Company Properly Apportioned Gain, Appellate Court Holds” on the Louisiana Court of Appeal, First Circuit, ruling on the Davis-Lynch Holding Co. Inc. v. Robinson case. Bill comments that the court gave rational and exhaustive reasoning for their decision and that the Legislature had eliminated income from sales not made in standard business practices from the list of allocable income in previous years. He shares that the court’s decision upheld his belief that this income would be apportionable and means this income should be reported in the revenue factor, despite regulations from the Department of Revenue.