SFPP LP v. FERC, et al
Case Number:
19-1067
Court:
Nature of Suit:
Companies
- American Airlines Group Inc.
- Andeavor Corp.
- Chevron Corp.
- Delta Air Lines Inc.
- Southwest Airlines Co.
- United Airlines Holdings Inc.
Government Agencies
Sectors & Industries:
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November 20, 2020
DC Circ. Won't Rethink OK'ing FERC Pipeline Tax Policy Shift
The D.C. Circuit won't revisit its July decision backing a Federal Energy Regulatory Commission policy that ends an income tax allowance for pipeline master limited partnerships, unconvinced by a pipeline developer's arguments that the commission didn't follow the right process when it enacted the policy.
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July 31, 2020
DC Circ. Backs FERC's Pipeline Tax Policy Shift
The D.C. Circuit on Friday backed a Federal Energy Regulatory Commission policy that eliminates an income tax allowance for pipeline master limited partnerships, saying the agency properly used it to strip the tax perk from a Kinder Morgan pipeline MLP.
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April 03, 2020
Pipelines, FERC Butt Heads At DC Circ. Over Nixed Tax Perk
Two pipeline companies clashed with the Federal Energy Regulatory Commission in a pair of intertwined hearings before the D.C. Circuit Friday, as a three-judge panel heard appeals challenging a new FERC policy doing away with an income tax allowance for pipeline master limited partnerships, a key tax perk.
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October 15, 2019
FERC Can't Yank Pipeline Tax Perk, DC Circ. Hears
A Kinder Morgan unit told the D.C. Circuit that the Federal Energy Regulatory Commission used a misguided policy to wrongly strip the company of a key tax perk for pipeline master limited partnerships.