Whirlpool's $50M Foreign Income Not Taxable, 6th Circ. Told

By Dylan Moroses · February 16, 2021, 1:52 PM EST

The U.S. Tax Court incorrectly applied the U.S. Treasury's manufacturing branch rule to determine that Whirlpool owes tax on $50 million in income generated by a Luxembourg affiliate's sales to a...

To view the full article, register now.

Documents

Case Information

Case Title

Whirlpool Financial Corp, et al v. CIR

Case Number

20-1899

Court

Appellate - 6th Circuit

Nature of Suit

Date Filed

September 17, 2020


Case Title

Whirlpool Intl Holdings, et al v. CIR

Case Number

20-1900

Court

Appellate - 6th Circuit

Nature of Suit

Date Filed

September 17, 2020