American International Group, Inc. v. United States
Petition for certiorari denied on March 7, 2016
Issue: Whether the Second Circuit erred in impeding, and discriminating against, foreign investment by treating foreign income taxes not as taxes, but as expenses, in determining entitlement to the foreign tax credit.
Date | Proceedings and Orders |
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10/13/2015 | Petition for a writ of certiorari filed. (Response due November 16, 2015) |
11/10/2015 | Order extending time to file response to petition to and including December 16, 2015. |
11/16/2015 | Brief amici curiae of The Chamber of Commerce of the United States of America and Cato Institute filed. |
12/15/2015 | Brief of respondent United States in opposition filed. |
12/28/2015 | Reply of petitioner American International Group, Inc. filed. |
12/30/2015 | DISTRIBUTED for Conference of January 15, 2016. |
01/08/2016 | Rescheduled. |
01/19/2016 | DISTRIBUTED for Conference of January 22, 2016. |
01/22/2016 | Rescheduled. |
02/08/2016 | DISTRIBUTED for Conference of February 19, 2016. |
02/24/2016 | Rescheduled. |
02/29/2016 | DISTRIBUTED for Conference of March 4, 2016. |
03/07/2016 | Petition DENIED. |