The U.S. Tax Court’s opinion that allowed a company to treat a gross-up for taxes paid by its foreign subsidiaries as a dividend received goes against what Congress intended and shouldn’t be applied to Kyocera’s similar claims, the U.S. Department of Justice told a South Carolina federal court.
Tax Court’s Take Shouldn’t Loom Over Kyocera Case, US Says
by usoftax_admin | Sep 9, 2024 | Tax News
