STARR INTERNATIONAL COMPANY, INC.
Case Number:
1:14-cv-01593
Court:
Nature of Suit:
Judge:
Firms
- Gibson Dunn
- Law Office of Kevin M. Downing
- Law Office of Thomas E. Zehnle
- Miller & Chevalier
- Skadden Arps
Companies
Sectors & Industries:
-
January 31, 2018
Swiss Insurer Wins $21M Tax Refund Suit Against IRS
Swiss insurer Starr International Co. Inc. won a $21 million tax fight Wednesday when a District of Columbia federal court declined to extend the government's two-year statute of limitations to claim an erroneously issued tax refund.
-
January 09, 2018
US Says Amici Not Helpful In Unique $21M Tax Refund Fight
The U.S. government blasted a show of support for Swiss insurer Starr International Co. Inc. from a tax attorney and two tax law professors in a $21 million tax refund lawsuit, saying in a court filing on Monday that the practitioners aren't doing much to help resolve unique, threshold issues.
-
August 15, 2017
Starr Can't Claim Tax Break In $38M IRS Dispute, Judge Says
A U.S.-Switzerland treaty does not entitle Starr International Co. Inc. to preferential tax treatment, whose denial allegedly cost the company $38 million, and the government properly read the Swiss insurer's move to that country as seeking tax benefits as a "principal purpose," a D.C. federal judge ruled Monday.
-
June 07, 2017
IRS Required To Give Tax Break In $38M Dispute, Starr Says
Swiss insurer Starr International Co. Inc. urged a D.C. federal judge Wednesday to upend an IRS denial of preferential tax treatment under a bilateral deal between the U.S. and Switzerland, arguing American authorities had little wiggle room to justify the denial that allegedly cost it $38 million.
-
June 05, 2017
Starr Wants $21M IRS Counterclaim Tossed As Time-Barred
Swiss insurer Starr International Co. Inc. on Sunday asked a D.C. federal judge to toss an IRS counterclaim in a spat over millions of dollars in tax refunds that Starr initiated over IRS denial of a treaty-based 50 percent tax rate reduction on 2007 dividends from its then-massive share of American Insurance Group Inc.
-
April 19, 2017
Starr Wants 'Quick Peek' Review Of Docs In $38M Tax Row
Swiss insurer Starr International Co. Inc. is seeking "quick peek discovery" in multimillion-dollar tax litigation against the U.S. after the government attached an internal IRS email to a legal filing, telling a D.C. federal judge the U.S. Department of Justice shouldn't be allowed to "cherry pick" documents to support its defense.
-
March 25, 2016
Starr Drops $38M Tax Refund Claim In Revamped Suit
Swiss insurer Starr International Co. Inc. on Thursday amended its September 2014 complaint seeking a $38.2 million federal tax refund in the U.S. after a D.C. federal court ruled last month that it could not grant monetary relief in the suit.
-
December 01, 2015
Starr Says $38M Tax Treaty Suit Reviewable By Court
Swiss insurer Starr International Co. Inc. defended its suit for $38 million in tax refunds under a 1996 treaty between the U.S. and Switzerland, saying at a hearing Tuesday the court would not be meddling in diplomatic affairs were it to hear the case.
-
October 27, 2015
IRS Says Court Can't Force It To Give Swiss Co. $38M Refund
The U.S. government told a D.C. federal judge Monday that he cannot force the IRS to grant a Swiss insurance company's requested $38 million tax refund, because doing so would violate a 1996 U.S.-Swiss treaty that requires prior consultation between the two nations.
-
October 19, 2015
Swiss Insurer Says IRS' Bid To Toss $38M Suit Is Repetitive
A Swiss insurance company fighting for a $38 million tax refund from the U.S. Internal Revenue Service hit back Friday at a second attempt to dismiss its lawsuit, saying that the government is simply repeating arguments that the D.C. district court has already rejected.