The U.S. Supreme Court’s recent overturning of Chevron deference doesn’t warrant a reversal of a U.S. Tax Court ruling in 3M Co.’s transfer pricing case, the Internal Revenue Service told the Eighth Circuit on Friday.
Chevron’s End Doesn’t Bear On 3M’s Case, IRS Tells 8th Circ.
by usoftax_admin | Jul 12, 2024 | Tax News
