The Facebook parent’s Dec. 4 petition alleges that the IRS’s periodic adjustments of its transfer of intangible property are arbitrary, capricious, or unreasonable. The tech giant argued that the IRS is barred from making periodic adjustments by collateral estoppel, estoppel, and res judicata under Rule 39.
The petition follows a May Tax Court ruling in a long-running dispute involving the tech giant’s valuation of ...
Learn more about Bloomberg Tax or Log In to keep reading:
See Breaking News in Context
From research to software to news, find what you need to stay ahead.
Already a subscriber?
Log in to keep reading or access research tools and resources.