Thursday, June 20, 2024
7-2 Supreme Court Upholds Mandatory Repatriation Tax In Moore
Moore v. United States, No. 22–800 (June 20, 2024):
The [Mandatory Repatriation Tax] —which attributes the realized and undistributed income of an American-controlled foreign corporation to the entity’s American shareholders, and then taxes the American shareholders on their portions of that income—does not exceed Congress’s constitutional authority. ...
KAVANAUGH, J., delivered the opinion of the Court, in which ROBERTS, C. J., and SOTOMAYOR, KAGAN, and JACKSON, JJ., joined. JACKSON, J., filed a concurring opinion. BARRETT, J., filed an opinion concurring in the judgment, in which ALITO, J., joined. THOMAS, J., filed a dissenting opinion, in which GORSUCH, J., joined.
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https://taxprof.typepad.com/taxprof_blog/2024/06/7-2-supreme-court-upholds-mandatory-repatriation-tax-in-moore.html