UNITED STATES v. IBM CORP., 517 U.S. 843 (1996)

UNITED STATES v. INTERNATIONAL BUSINESS MACHINES CORP. CERTIORARI TO THE UNITED STATES COURT OF APPEALS FOR THE FEDERAL CIRCUIT No. 95-591. Argued March 18, 1996 Decided June 10, 1996 Pursuant to § 4371 of the Internal Revenue Code, respondent International Business Machines Corporation (IBM) paid a tax on insurance premiums remitted to foreign insurers to […]

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517 U.S. 843

517 U.S. 843 517 U.S. 843116 S.Ct. 1793135 L.Ed.2d 124 UNITED STATESv.INTERNATIONAL BUSINESS MACHINES CORP.Certiorari to the United States Court of Appeals for the Federal Circuit. No. 95-591. Supreme Court of the United States Argued March 18, 1996 Decided June 10, 1996 Syllabus* Pursuant to Section(s) 4371 of the Internal Revenue Code, respondent International Business […]

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517 U.S. 843

517 U.S. 843 517 U.S. 843116 S.Ct. 1793135 L.Ed.2d 124 UNITED STATESv.INTERNATIONAL BUSINESS MACHINES CORP.Certiorari to the United States Court of Appeals for the Federal Circuit. No. 95-591. Supreme Court of the United States Argued March 18, 1996 Decided June 10, 1996 Syllabus* Pursuant to Section(s) 4371 of the Internal Revenue Code, respondent International Business […]

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