Recommended Citation
Published in Tax Notes Federal, August 24, 2020, pages 1371-1392.
Abstract
In this report, Chamberlain explores how the Tax Court, on remand in Medtronic, can address the challenge of determining arm’s-length transfer prices when one of the related parties bears substantial risk but owns no valuable intangible property.
Disciplines
Accounting
Copyright
© 2020. Tax Notes
Number of Pages
22
Included in
URL: https://digitalcommons.calpoly.edu/acct_fac/33