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hold that interest accrues on petitioner's deficiency expunged by
a later foreign tax carryback and does so until the due date of
the return for the taxable year from which the carryback arises,
rather than only until the end of the taxable year in which the
carryback arose.
Petitioner's motion to withdraw its motion to redetermine
interest and its motion for such redetermination will be denied.
An appropriate order will
be entered.
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Last modified: May 25, 2011