The Supreme Court will be hearing a potentially significant tax case in the upcoming 2023-2024 session which starts next month, Moore v United States. In a nutshell, the Moore’s invested in an agricultural equipment company operating in India. The company was successful and profitable, but churned all its profits back into the company, never making distributions to the stakeholders, including the Moore’s.   However, the 2017 Tax Cuts and Jobs Act created a new provision: a repatriation tax introduced which is a one-time tax levied on U.S. taxpayers with a specified amount of ownership in certain foreign corporations. This was part of the “America First” agenda of the Trump Administration. A tax of 15.5 per...