(United States Third Circuit) – Affirming the Tax Court’s application of the Ilfield doctrine in holding that the double deduction for losses incurred by the subsidiary of a company was improper and disallowing $199 million of those losses.
(United States Third Circuit) – Affirming the Tax Court’s application of the Ilfield doctrine in holding that the double deduction for losses incurred by the subsidiary of a company was improper and disallowing $199 million of those losses.