US vs. Boing Co. March 2003, Supreme Court of Appeals

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Boeing appealed and IRS ruling that it had improperly applied the combined taxable income (CTI) method of transfer pricing by including research and development costs that did not pertain directly to the income in question. The U.S. Supreme Court upheld the IRS position, affirming the Court of Appeals decision in favor if the IRS.

 

US-Boeing_decision_03042003


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