Tennessee Code Annotated

Tenn. Code Ann. § 56-4-210 (2026)

"Tennessee securities" defined - Reduction in tax for investments in state

✓ current as of May 2026
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Amended by 2015 Tenn. Acts, ch. 155,Secs.s6, s7, s8, s9, s10 eff. 1/1/2016.

Amended by 2015 Tenn. Acts, ch. 155,s 5, eff. 1/1/2016.

Acts 1953, ch. 49, § 1 (Williams, § 1248.169); impl. am. Acts 1971, ch. 137, § 2; 1974, ch. 568, §§ 1, 2; T.C.A. (orig. ed.), § 56-414; Acts 1980, ch. 507, § 1; 1998, ch. 1015, § 1.


Notes of Decisions
Cited in 2 cases, 1982–2006 · leading case: Tennessee Farmers Assurance Co. v. Loren L. Chumley, 197 S.W.3d 767 (Tenn. Ct. App. 2006).
Tennessee Farmers Assurance Co. v. Loren L. Chumley, 197 S.W.3d 767 (Tenn. Ct. App. 2006). · cites it 28× “Pursuant to T.C.A. § 56-4-210 2 all insurance companies falling into the categories covered by § 56-4-205, with a few exceptions, are entitled to a reduction of, or credit upon, its gross premiums tax for investments in Tennessee securities.”
Repub. Ins. Co. v. Oakley, 637 S.W.2d 448 (Tenn. 1982). · cites it 4× “, § 56-414 (now T.C.A., § 56-4-210). For a taxpayer insurance company that had invested in Tennessee securities to the same extent each of the plaintiffs had invested during the taxable period in question, the amount of the credit due was as follows: “[I]f .”
Tenn. Code Ann. § 56-4-210(a): 1 case
Tennessee Farmers Assurance Co. v. Loren L. Chumley, 197 S.W.3d 767 (Tenn. Ct. App. 2006). “Pursuant to T.C.A. § 56-4-210 2 all insurance companies falling into the categories covered by § 56-4-205, with a few exceptions, are entitled to a reduction of, or credit upon, its gross premiums tax for investments in Tennessee securities.”
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