In Bank of New York Mellon Corp. v. Commissioner, the Tax Court found that a structured trust advantaged repackaged securities (“STARS”) transaction entered into by BNY Mellon lacked economic substance, and disallowed foreign tax credits of $199 million as well as transactional expenses of $8 million. BNY Mellon is the first test case to emerge from the IRS’s attempts to disallow tax benefits to several financial institutions that participated in the STARS transaction.The STARS transaction is one of a number of different transactions that the IRS refers to as “foreign tax credit generators.” These transactions generally rely on inconsistent treatment of the same transactions under the tax law of different jurisdictions. The inconsistent tre...
When the U.S. terminated its income tax treaty with the Netherlands Antilles in 1984, there was crit...
In Altera Corp. v. Commissioner, the United States Tax Court invalidated a 2003 Treasury Regulation ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
In Bank of New York Mellon Corp. v. Commissioner, the Tax Court found that a structured trust advant...
The foreign tax credit, which saves U.S. taxpayers from paying both foreign and domestic income taxe...
Max Schuster operated a wholesale business in semi-precious stones in the form of a sole proprietors...
Recently, the tax court in Hoover Company v. Commissioner,\u27 re- fused to apply the Corn Products...
The United States Tax Court has held that section 741 of the Internal Revenue Code controls the char...
In Estate of McKelvey v. Commissioner, the Second Circuit Court of Appeals adopted the IRS’s positio...
Taxpayer, trustee of a domestic inter vivos trust, sued for a refund of United States income taxes p...
Several actions by Congress and the IRS aimed to reduce improper claims of the earned income tax cre...
Petitioner, a motion picture exhibitor, sued certain motion picture distributors under the private r...
Bonds of a prescribed kind were deposited in an investment trust with defendant, who issued certific...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
The Barnes Group, Inc. is a Bristol, Conn. Transnational corporation that manufactures industrial an...
When the U.S. terminated its income tax treaty with the Netherlands Antilles in 1984, there was crit...
In Altera Corp. v. Commissioner, the United States Tax Court invalidated a 2003 Treasury Regulation ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
In Bank of New York Mellon Corp. v. Commissioner, the Tax Court found that a structured trust advant...
The foreign tax credit, which saves U.S. taxpayers from paying both foreign and domestic income taxe...
Max Schuster operated a wholesale business in semi-precious stones in the form of a sole proprietors...
Recently, the tax court in Hoover Company v. Commissioner,\u27 re- fused to apply the Corn Products...
The United States Tax Court has held that section 741 of the Internal Revenue Code controls the char...
In Estate of McKelvey v. Commissioner, the Second Circuit Court of Appeals adopted the IRS’s positio...
Taxpayer, trustee of a domestic inter vivos trust, sued for a refund of United States income taxes p...
Several actions by Congress and the IRS aimed to reduce improper claims of the earned income tax cre...
Petitioner, a motion picture exhibitor, sued certain motion picture distributors under the private r...
Bonds of a prescribed kind were deposited in an investment trust with defendant, who issued certific...
The Commissioner of Internal Revenue issued jeopardy assessments against the taxpayer, Omar, S.A., a...
The Barnes Group, Inc. is a Bristol, Conn. Transnational corporation that manufactures industrial an...
When the U.S. terminated its income tax treaty with the Netherlands Antilles in 1984, there was crit...
In Altera Corp. v. Commissioner, the United States Tax Court invalidated a 2003 Treasury Regulation ...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...