BMC Software wins US dividend repatriation case on appeal

The US Court of Appeals for the Fifth Circuit has ruled, in BMC Software Inc., decided March 13, that accounts receivables created under a transfer pricing closing agreement are not a related-party loans causing partial disallowance of the one-time dividends received deduction for dividends repatriated from controlled foreign corporations between 2003 to 2006. The decision reversed a Tax Court decision in favor of the IRS.

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For analysis of the decision, see:

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