For more information, visit /gradtax.Įxecutive Producers: Jasper B. Tax Courts decision in Coca-Colas 12 billion transfer pricing dispute and its impact. In a November verdict that was, at times, scathing about Coca-Cola's position, Tax Court Judge Albert Lauber said the IRS was within its rights to adjust the company's transfer pricing methodology. ![]() This episode is sponsored by University of California, Irvine Law School’s Graduate Tax Program. Robert Goulder and Ryan Finley of Tax Notes analyze the U.S. The 1996 agreement did not address the transfer pricing methodology to be used for years after 1995. Tax Court’s Coca-Cola Ruling: Early Sign of a New Approach?Tax Court Sides With IRS in Coca-Cola Transfer Pricing CaseIRS, Coca-Cola Continue Fight Over Transfer Pricing AnalysisCoca-Cola's Tax Court Petition Disputes the IRS's Transfer Pricing AdjustmentsEconomist Andrew Hughes talks about his upcoming series in Tax Notes on transfer pricing benchmarks. The aim is to adopt the case study method to analyse the Coca-Cola transfer pricing cases in light of selected shifts in the international tax regime to explore. ![]() Coke forecasts slightly faster growth, with organic. Coca-Cola is seeking a re-determination in Tax Court of certain Internal Revenue Service (IRS) transfer-pricing adjustments relating to its 20072009 tax years. Tax Notes legal reporter Ryan Finley discusses the IRS’s major victory in the Coca-Cola case and its future implications for transfer pricing cases.įor additional coverage, read these articles in Tax Notes: Tax Court ruled in favor of the IRS in its transfer pricing dispute with The Coca-Cola Company (Coca-Cola Co. Both companies are targeting roughly 9 higher earnings in 2023 (after accounting for currency exchange rate shifts).
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