Ya Global Investments, et al v. Commissioner of Internal Revenue

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Case Number:

25-1766

Court:

Appellate - 3rd Circuit

Nature of Suit:

tax court 

Companies

Sectors & Industries:

  1. March 10, 2026

    PE Group Asks 3rd Circ. To Overturn Fund's $100M Tax Bill

    The U.S. economy could face damaging consequences if the Third Circuit upholds a U.S. Tax Court decision finding a Cayman Islands hedge fund liable for a $100 million tax bill as a securities dealer, a private equity lobbying group told the court.

  2. February 25, 2026

    Cayman Fund Tells 3rd Circ. Error Sinks $100M Tax Ruling

    The Internal Revenue Service has been unable to show that a Cayman Islands hedge fund carried out an on-shore business, the fund told the Third Circuit in challenging a U.S. Tax Court decision that said the fund owed $100 million in taxes.

  3. January 13, 2026

    IRS Asks 3rd Circ. To Uphold $100M Bill Against Hedge Fund

    The Internal Revenue Service urged the Third Circuit to uphold a $100 million tax bill against a Cayman Islands hedge fund, arguing that the fund's U.S.-based investment manager carried out a domestic business beyond merely securing capital.

  4. September 19, 2025

    Cayman Hedge Fund Takes $100M Tax Dispute To 3rd Circ.

    A Cayman Islands hedge fund urged the Third Circuit to revive its challenge to a $100 million tax bill for earning money in connection with a U.S. business, saying the business did not exist, contrary to claims by the IRS and the U.S. Tax Court.