Facebook Backs Tax Docs Privilege In Transfer Pricing Row

By Amy Lee Rosen · March 5, 2018, 5:55 PM EST

Facebook Inc. argued on Friday that the IRS' statement that some of the company's documents in a transfer pricing dispute should not be protected by privilege was incorrect because they reflect...

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Documents

Case Information

Case Title

United States of America v. Facebook, Inc. and Subsidiaries

Case Number

3:16-cv-03777

Court

California Northern

Nature of Suit

Taxes

Date Filed

July 06, 2016