A biotechnology firm is in dispute with a tax authority regarding intercompany pricing of licenses and related transactions with its foreign subsidiary. A CRA expert is supporting the taxpayer and its counsel during the IRS appeals process with analysis relating to the importance of R&D, manufacturing and other functions in generating non-routine profits.
Medtronic v. Commissioner: Rebel Curd and Robin Hart interviewed by Law360 Tax Authority
Rebel Curd, Robin Hart, and two tax lawyers were interviewed for an October 14, 2022 Law360 Tax Authority article about an unspecified transfer pricing method...