Last summer, we wrote a post called “The Kyocera Section 41 Case Should be a Wake-Up Call” about the precariousness of relying exclusively on interviews to deliver the necessary proof to the IRS on an R&D filing. With the Kyocera case back in the news, it’s clearly time for an update.
An Update on Kyocera and What It Means For You
calendar_today
April 4, 2025
domain
neotax