06/02/2025
What does the Facebook v. Commissioner ruling mean for the future of transfer pricing?
Douglas Stransky shares insights in International Tax Review on the Tax Court’s recent decision, which reaffirms the IRS’s authority to use the income method while also highlighting the importance of reliable valuation inputs. With billions at stake, the case sets a critical precedent for how multinational companies approach intangible asset valuation and cost-sharing arrangements.
Read more: https://www.sullivanlaw.com/news/significant-implications-experts-analyse-us-v-facebook-tp-ruling