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In the decision, OAG 84-05 is cited as a precedent where it was concluded that state surcharges or taxes levied on insurance premiums pursuant to KRS 136.392 did not apply to nonprofit institutions of purely public charity and education. This citation is used to establish a foundational understanding of the tax exemptions applicable to such institutions under Kentucky law, which is relevant to the discussion in the current opinion.
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The Sunshine Law Library is not exhaustive and may contain errors from source documents or the import process. Nothing on this website should be taken as legal advice. It is always best to consult with primary sources and appropriate counsel before taking any action.
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gpt-4-turbo-2024-04-09
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