United States Federal Circuit
Albemarle Corp. & Subsidiaries v. US, 15-5015
In a petition for rehearing involving the issue of the accrual date for foreign tax liability, contending that the Court of Federal Claims' decision conflicts with this court's decision in Salem Financial, Inc. v. US, 786 F.3d 932 (Fed. Cir. 2015), the petition is denied where the case cited in Salem, Reading & Bates Corp. v. US, 40 Fed. Cl. 737 (1998), provides no support for plaintiff's argument, and plaintiff's remaining arguments are without merit.
Appellate Information
- Decided 10/22/2015
- Published 10/22/2015
Judges
- BRYSON
Court
- United States Federal Circuit