2025 USA Transfer Pricing Guide
Transfer Pricing (TP) continues to be a pivotal aspect of U.S. tax law, adapting to both global and domestic economic […]
2025 USA Transfer Pricing Guide Read Post »
Transfer Pricing (TP) continues to be a pivotal aspect of U.S. tax law, adapting to both global and domestic economic […]
2025 USA Transfer Pricing Guide Read Post »
DOWNLOAD the full judgment of: 3M Company v Commissioner of Internal Revenue
3M Company v Commissioner of Internal Revenue: JUDGMENT Read Post »
CASE SUMMARY:
This case involved the 3M Company and its subsidiaries (collectively referred to as the “3M consolidated group”) disputing a section 482 adjustment made by the Commissioner of Internal Revenue. The dispute focused on the income tax treatment of intellectual property (IP) transactions between 3M’s U.S. subsidiaries and its Brazilian subsidiary, 3M do Brasil Ltda (3M Brazil), for the tax year 2006.
3M Company v Commissioner of Internal Revenue: CASE SUMMARY Read Post »