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← 884 S.W.2d 153 - Weck v. Sharp

Weck v. Sharp’s Empirical Analysis

1994

Citation profile

1
cited by 1 later decisions
1
states following
April 2018
most recently cited

1 state decisions

Appellate journey

reviewedthe decision below (from Texas Court of Appeals, 3rd District (Austin))

Relationships

Relies on R Communications, Inc. v. Sharp · Weck v. Sharp

Most-quoted passages

The sentences later courts lift from this opinion, ranked by how many decisions quote each — the parts of the opinion doing the work. These counts are smaller than the citation total above because most of the 1 citing decisions cite the case generally; a passage count includes only decisions quoting that exact language verbatim.

  1. “that section 112.051 of the Tax Code, which requires that the contested tax be paid before a taxpayer may seek judicial review of the assessment, is unconstitutional.”
    1 later decision quote this exact passage · from the majority
  2. “assessed ... taxes and penalties against Weck for failing to pay taxes due under the Controlled Substances Tax Act,”
    1 later decision quote this exact passage · from the majority
  3. “judicial review of tax liability by means of a declaratory action.”
    1 later decision quote this exact passage · from the majority

How this case has been treated — in progress

Whether each later court followed, distinguished, criticized, or overruled this decision. The treatment classification (task #35) runs highest-cited cases first and lights up here as it reaches this one.