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Last January, the Tax Court decided Rent-A-Center, Inc. and Affiliated Subsidiaries v. Commissioner, involving a captive insurance arrangement that was challenged by the Internal Revenue Service (IRS). The Tax Court found that a parental agreement between a captive and its parent could be present in a valid insurance arrangement for federal income tax purposes.
By Society of Actuaries (SOA)4.6
3131 ratings
Last January, the Tax Court decided Rent-A-Center, Inc. and Affiliated Subsidiaries v. Commissioner, involving a captive insurance arrangement that was challenged by the Internal Revenue Service (IRS). The Tax Court found that a parental agreement between a captive and its parent could be present in a valid insurance arrangement for federal income tax purposes.

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