Christensen v. United States

 
APPEAL NO.
24-1284
OP. BELOW
CFC
OPINION
TBD
SUBJECT
Tax
AUTHOR
TBD

Issue(s) Presented

“Whether the CFC erred in ruling that Article 24(2)(b) of the income tax treaty between the United States and France allows U.S. citizens residing in France to claim a foreign tax credit against the net investment income tax imposed by § 1411 of the Internal Revenue Code, even though the Code itself would not allow such a credit.”