COMMISSIONER OF INTERNAL REVENUE vs. ENRON SUBIC POWER CORPORATION. The CIR claimed that Enron was informed of the legal and factual bases of the deficiency assessment. The SC held that The CIR merely issued a formal assessment and indicated the supposed tax, surcharge, interest and compromise penalty due thereon.
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4.Summary of SignificantSC Decisions (August 2008 - January 2009)
COMMISSIONER OF INTERNAL REVENUE vs. ENRON SUBIC POWER CORPORATION. The CIR claimed that Enron was informed of the legal and factual bases of the deficiency assessment. The SC held that The …