The Resource As testimony begins in Medtronic's transfer pricing trial, Court denies motions by IRS, company to exclude key evidence

As testimony begins in Medtronic's transfer pricing trial, Court denies motions by IRS, company to exclude key evidence

Label
As testimony begins in Medtronic's transfer pricing trial, Court denies motions by IRS, company to exclude key evidence
Title
As testimony begins in Medtronic's transfer pricing trial, Court denies motions by IRS, company to exclude key evidence
Creator
Subject
Language
eng
Summary
As Medtronic Inc.'s transfer pricing trial begins in U.S. Tax Court in Chicago, both parties lose motions to block key evidence in the $2 billion dispute. The transfer pricing at issue involves royalties paid by an offshore affiliate to the U.S. parent for intangibles used in manufacturing cardiac and neurological medical devices and leads. Underlying the case, however, are questions about Medtronic's 2001 restructuring of its Puerto Rico operations, prompted by the phaseout of the Section 936 possessions tax credit
Citation source
In: Tax management transfer pricing report. - Arlington. - Vol. 23 (2015),
http://library.link/vocab/creatorName
  • Gregory, D.W
  • Bologna, M
Geographic coverage
North America
Language note
English
http://library.link/vocab/subjectName
  • transfer pricing
  • case law
  • reorganization
  • royalties
  • tax credit
Label
As testimony begins in Medtronic's transfer pricing trial, Court denies motions by IRS, company to exclude key evidence
Instantiates
Publication
Label
As testimony begins in Medtronic's transfer pricing trial, Court denies motions by IRS, company to exclude key evidence
Publication

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