PepsiCo savors $363m US tax triumph over IRS
date:Sep 27, 2012
where a lack of security regarding repayment and schedules to govern this were factors that struck out a debt-based relationship for the securities.

The judge concluded that the principle issue centered on the IRS assertion that the transactions in question evinced a clear intention to structure creditor-debtor arrangements.

PepsiCo Inc. and its affiliates disputed that characterization, he said, insisting instead that the advance agreements were legitimate equity instruments for Federal inco
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