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Rolls-Royce Boeing

Bradley Arant Boult Cummings LLP

Supreme Court to Resolve Circuit Split Over Whether District Courts Can Order Discovery in Aid of Private International...

This term the Supreme Court is set to resolve a circuit split over the extent of a federal district court’s power to order a person “who resides in or is found” in its district “to give testimony or statement or to produce a...more

Cranfill Sumner LLP

U.S. Supreme Court Grants Writ of Certiorari in Boeing/Rolls Royce Case to Consider Arguments on Interpretation of 28 U.S.C. §1782

Cranfill Sumner LLP on

On March 22, 2021, the U.S. Supreme Court granted the petitioner’s request for Writ of Certiorari in the ServoTronics, Inc. v. Rolls-Royce, PLC case....more

Carlton Fields

Seventh Circuit Adds to Circuit Split, Holds Section 1782 Does Not Authorize Federal Courts to Compel Discovery for Use in Private...

Carlton Fields on

On a question of first impression in the Seventh Circuit regarding whether U.S. law allows federal courts to compel discovery for use in a private foreign arbitration, the Seventh Circuit joins the Second and Fifth Circuits...more

Mintz - Arbitration, Mediation, ADR...

Into the Fray: Seventh Circuit Holds That Foreign and International Commercial Arbitrations Do Not Receive U.S. Judicial...

The Seventh Circuit is the latest Court of Appeals to enter the fray concerning the scope of application of 28 U.S.C. §1782(a), finding additional reasons to hold that a foreign or international commercial arbitration is not...more

Cozen O'Connor

Rolls-Royce Petitions U.S. Supreme Court to Block Discovery in Aid of International Arbitration

Cozen O'Connor on

On April 16, 2020, Rolls-Royce PLC filed a motion to stay proceedings in the U.S. Court of Appeals for the Fourth Circuit while it prepares the filing of a petition for a writ of certiorari to the U.S. Supreme Court. In the...more

Robins Kaplan LLP

Financial Daily Dose 2.19.2020 | Top Story: Arguments Begin Regarding Facebook’s 2010 Tax Bill

Robins Kaplan LLP on

On Tuesday, a U.S. federal tax court began hearing arguments regarding Facebook’s 2010 tax bill. The IRS valued Facebook at $13.8 billion, while Facebook reported only $6.5 billion. The final tally could potentially cost...more

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