Bloomberg BNA's Daily Tax Report quoted Tax Partner Elizabeth Mullen in an article about transfer pricing controversies currently pending before the U.S. Tax Court.
Bloomberg BNA

Excerpt:
Elizabeth Mullen, a tax partner at Marcum LLP in New York, told Bloomberg BNA that the Coca-Cola case highlights the fact that advance pricing agreements (APAs) between taxpayers and the IRS might not fully protect the methodology applied by the business to determine it is reflecting an arm’s-length profit.
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Reproduced with permission from Daily Tax Report, by The Bureau of National Affairs, Inc. (800-372-1033) http://www.bna.com