Dreamworks Animation,skg, Inc. and Subsidiaries v. United States
United States Court of Federal Claims
1Opinion of the Court
Tax Refund Suit; Summary Judgment; RCFC 56; American Jobs Creation Act of 2004, Pub. L. No. 108-367, 118 Stat. 1418 (2004); Extraterritorial Income; Effective Date Provision; Transition Rule; Savings Clause
OPINION
FIRESTONE, Senior Judge.
Pending before the court in the above-captioned tax refund case are cross-motions for summary judgment filed pursuant to Rule 56 of the Rules of the Court of Federal Claims (“RCFC”) by plaintiff DreamWorks Animation SKG, Inc., and Subsidiaries (“DreamWorks”) 1 and defendant the United States (“the government”). At issue is whether DreamWorks is entitled to…
2Cases cited26 opinions
- Ross v. BlakeSupreme Court of the United States · 2016
- Food & Drug Administration v. Brown & Williamson Tobacco Corp.Supreme Court of the United States · 2000
- Stone v. Immigration & Naturalization ServiceSupreme Court of the United States · 1995
- Santa Fe Industries, Inc. v. GreenSupreme Court of the United States · 1977
- King v. BurwellSupreme Court of the United States · 2015
21 more not listed; retrieve them via the Exa API.
3Cited by2 opinions
- Dwa Holdings LLC v. United StatesCourt of Appeals for the Federal Circuit · 2018
- Dwa Holdings LLC v. United StatesCourt of Appeals for the Federal Circuit · 2018