Case 128D - United States - Tax Treatment For "Foreign Sales Corporations" - Recourse to Arbitration by the United States Under Article 22.6 of the DSU and Article 4.11 of the SCM Agreement
Stewart, Terence P.,
“Case 128D - United States - Tax Treatment For "Foreign Sales Corporations" - Recourse to Arbitration by the United States Under Article 22.6 of the DSU and Article 4.11 of the SCM Agreement”, in:
Handbook of WTO/GATT Dispute Settlement, Stewart and Stewart.
Consulted online on 21 February 2019 <http://dx.doi.org/10.1163/2211-4386_rwwtogatt_WTOGATT_CS128D>