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Medtronic, Inc, etc. v. CIR

  1. January 01, 2024

    International Tax Cases To Watch In 2024

    The U.S. Supreme Court鈥檚 upcoming decision on a constitutional challenge to a repatriation provision could reverberate beyond the tax code鈥檚 measures for deferred foreign income, while Coca-Cola may make its own constitutional arguments in a long-running $3.3 billion transfer pricing dispute. Here, Law360 looks at key international tax cases to follow during 2024.

  2. December 15, 2023

    Tax Court's Medtronic Method Violates Regs, US Tells 8th Circ.

    The U.S. asked the Eighth Circuit on Friday to reject a transfer pricing method used by the U.S. Tax Court in a decision finding medical device company Medtronic Inc. underreported its income, saying the methodology violated Treasury regulations and still failed to accurately account for the company's income.