IRS Asks Justices To Skip $377M Foreign Income Dispute

By David Hansen · December 3, 2019, 6:57 PM EST

A commodities trader affiliate owes tax on $377 million stemming from loans guaranteed by its foreign partners, and the U.S. Supreme Court should not upset a Third Circuit decision upholding the tax bill,...

To view the full article, register now.

Documents

Case Information

Case Title

SIH Partners LLLP, Explorer Corporation, Petitioner v. Commissioner of Internal Revenue

Case Number

19-435

Court

Supreme Court

Nature of Suit

tax court 

Date Filed

October 02, 2019