Tax Court Erred In $377M Foreign Income Row, 3rd Circ. Told

By David Hansen · September 20, 2018, 5:22 PM EDT

The U.S. Tax Court wrongly upheld unreasonable U.S. Treasury regulations on controlled foreign corporation income, an investment firm told the Third Circuit in a brief filed Wednesday, noting that under the regulations,...

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Documents

Case Information

Case Title

SIH Partners LLLP Explorer Par v. Commissioner of Internal Reven

Case Number

18-1862

Court

Appellate - 3rd Circuit

Nature of Suit

tax court 

Date Filed

April 23, 2018