Caterpillar, Inc. v. Indiana Department of State Revenue - 2/6/14

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Thursday  February 6, 2014 
9:45 AM  EST

9:45 a.m. No. 49T10-0812-TA-70. In calculating its net operating losses, Caterpillar, Inc., deducted foreign source dividend income and carried back unused losses to prior tax years. The Indiana Department of State Revenue recalculated Caterpillar's net operating losses by adding back the foreign source dividend income and denied Caterpillar's protest. The Tax Court granted summary judgment to Caterpillar. Caterpillar Inc. v. Indiana Dep't of State Revenue, 988 N.E.2d 1269 (Ind. Tax Ct. 2013). The Department of Revenue has petitioned the Supreme Court for review.

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