3M Says SCOTUS Ruling Shouldn’t Impact Fight Over Foreign Entity

July 12, 2024, 5:05 PM UTC

The Supreme Court’s recent ruling on pass-through entities is a new wrinkle in 3M Co.‘s long-running row with the IRS over transfer pricing.

The IRS said in a July 5 brief that the Moore v. United States decision “confirms that Congress may attribute the income realized by a foreign controlled company to its U.S. owners,” which should strengthen its case in reallocating almost $23.7 million of 3M Co.'s royalty income from its Brazilian subsidiary to the US parent for tax purposes.

The Moore case, which involved the Mandatory Repatriation Tax, covered whether the IRS can tax the shareholders of ...

Learn more about Bloomberg Law or Log In to keep reading:

Learn About Bloomberg Law

AI-powered legal analytics, workflow tools and premium legal & business news.

Already a subscriber?

Log in to keep reading or access research tools.