United States – Tax Treatment for “Foreign Sales Corporations”

E353366

United States – Tax Treatment for “Foreign Sales Corporations” is a landmark World Trade Organization dispute case concerning U.S. tax subsidies for export-related income that were found to constitute prohibited export subsidies under WTO rules.

All labels observed (1)

How this entity was disambiguated

Statements (43)

Predicate Object
instanceOf WTO dispute case ⓘ
international trade dispute ⓘ
agreementInvoked Agreement on Agriculture ⓘ
Agreement on Subsidies and Countervailing Measures ⓘ
Agreement on Trade-Related Investment Measures ⓘ
GATT 1994 ⓘ
Understanding on Rules and Procedures Governing the Settlement of Disputes ⓘ
appealedTo Appellate Body of the World Trade Organization ⓘ
linked to: WTO Appellate Body
AppellateBodyReportAdoptedBy WTO Dispute Settlement Body ⓘ
characterizedAs landmark WTO dispute case ⓘ
complainant European Communities ⓘ
complianceObligation withdrawal of prohibited export subsidies without delay ⓘ
concerns U.S. tax subsidies for export-related income ⓘ
disputeSystem WTO Dispute Settlement Understanding ⓘ
finding U.S. measures constituted export subsidies contingent upon export performance ⓘ
U.S. measures were inconsistent with GATT 1994 obligations ⓘ
U.S. measures were inconsistent with the SCM Agreement ⓘ
U.S. measures were prohibited export subsidies under WTO rules ⓘ
implementationIssue U.S. compliance with rulings was contested by the European Communities ⓘ
jurisdiction World Trade Organization dispute settlement system ⓘ
legalCharacterization prohibited export subsidy dispute ⓘ
legalIssue prohibited export subsidies ⓘ
measureChallenged U.S. Internal Revenue Code provisions on Foreign Sales Corporations ⓘ
U.S. tax exemptions for export-related income ⓘ
notableFor being a landmark WTO dispute on export-contingent tax benefits ⓘ
clarifying WTO disciplines on tax-based export subsidies ⓘ
panelEstablishedBy Dispute Settlement Body of the World Trade Organization ⓘ
panelReportAdoptedBy WTO Dispute Settlement Body ⓘ
partyTypeOfComplainant customs union ⓘ
partyTypeOfRespondent sovereign state ⓘ
policyArea export subsidies ⓘ
international taxation ⓘ
multilateral trade rules ⓘ
relatedConcept Foreign Sales Corporation ⓘ
export-contingent tax exemption ⓘ
respondent United States ⓘ
result United States required to bring its measures into conformity with WTO obligations ⓘ
retaliationAuthorized European Communities authorized to impose countermeasures against the United States ⓘ
sectorAffected agricultural exports ⓘ
manufactured goods exports ⓘ
shortName US – FSC ⓘ
subject tax treatment of Foreign Sales Corporations ⓘ
WTOdisputeNumber DS108 ⓘ

How these facts were elicited

Referenced by (1)

Full triples — surface form annotated when it differs from this entity's canonical label.

WTO Appellate Body → notableCase → United States – Tax Treatment for “Foreign Sales Corporations” ⓘ