Newport cigarette maker
The company asked the justices to review a New Jersey appeals court’s 2025 decision that a 2020 amendment to the state’s addback regulation applied retroactively to Lorillard’s refund claims for tax years 1999-2004. The regulation interpreted the addback statute, which requires taxpayers to include in their taxable income otherwise-deductible royalties paid to a related party unless they can establish the adjustments are “unreasonable.”
The case involves similar issues to Disney and ...
Learn more about Bloomberg Law or Log In to keep reading:
See Breaking News in Context
Bloomberg Law provides trusted coverage of current events enhanced with legal analysis.
Already a subscriber?
Log in to keep reading or access research tools and resources.
