Explore the ongoing developments of the Coca-Cola Co. v. Commissioner case on Nov. 11 at 12 PM EST!
Join international tax professional, William Inchoco as he examines the Coca-Cola Co. v. Commissioner case. Specifically highlighting the IRS’s authority to request taxpayer’s intercompany agreements. William will also cover why there is a need to have agreements that clearly outline the parties’ legal relationships and the pricing of the created intercompany transactions.