Section 482 does not priorities the specific methods. That is, a taxpayer may pick the best method based on the taxpayer’s analysis. Should the U.S. abandon the best method analysis principle and codify the order of which methods should be used?
Section 482 does not priorities the specific methods. That is, a taxpayer may pick the best method based on the taxpayer’s analysis. Should the U.S. abandon the best method analysis principle and codify the order of which methods should be used?