Lawmakers are grappling with a tax code riddled with loopholes, but the research and development (R&D) credit enjoys broad political support.
IRS lawyer Andrew Weiner argued, "The statute does not require that the court turn a blind eye to what was really going on this case. They were conducting normal manufacturing operations and they were also conducting qualified research."
Since its creation in 1981, the credit has helped support basic research. But detractors say it is a costly corporate hand-out, too broadly claimed, that does little to drive more U.S. R&D hiring and investment.
The case is Union Carbide Corp & Subsidiaries vs Commissioner of Internal Revenue in the 2nd Circuit U.S. Court of Appeals No. 11-2552
(Additional reporting By Patrick Temple-West and Ernest Scheyder)
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