United States - Tax Treatment for "Foreign Sales Corporations" - Recourse to Arbitration by the United States under Article 22.6 of the DSU and Article 4.11 of the SCM Agreement - Decision of the Arbitrator

 

UNITED STATES – TAX TREATMENT FOR "FOREIGN SALES CORPORATIONS"

 

Recourse to Arbitration by the United States

under Article 22.6 of the DSU

and Article 4.11 of the SCM Agreement

 

 

 

Decision of the Arbitrator