US

Court of Appeals confirms that interest deduction disallowance does not violate 1967 US-France tax treaty
The US Court of Appeals for the Seventh Circuit has confirmed a decision of the US Tax Court that the interest deduction disallowance rule of Treasury Regulation § 1.267(a)-3 does not violate Art. 24(3) (Non-discrimination) of the 1967 US-France tax treaty (Square D Com…
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