[¶ 1] James P. and Philomena T. Day and Gregory B. and Jayne D. Thornton (taxpayers), some of whom are members of a New Hampshire limited liability company, appeal from a judgment of the Superi- or Court (Kennebec County,
Harden, J.)
affirming the decision of the State Tax Assessor to deny the taxpayers a credit, pursuant to 86 M.R.S.A. § 5217-A (Supp. 2002),
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against their Maine individual income taxes for taxes the LLC paid to New Hampshire under that state’s business profits tax.
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The taxpayers argue that the court erred when it determined that plain readings of the relevant Maine and New Hampshire statutes support the decision of
The entry is:
Judgment affirmed.
Notes
. Title 36 M.R.S.A. § 5217-A has since been amended. P.L. 2003, ch. 391, § 9 (effective Sept. 13, 2003) and P.L. 2003, ch. 673, § JJ-4 (effective July 30, 2004) (codified at 36 M.R.S. § 5217-A (2007)).
. See N.H. Rev. Stat. Ann. § 77-A:2 (2003) (imposing tax "upon the taxable business profits of every business organization”).
