Marathon Petroleum Company LP, et al. v. United States of America
Case Number:
3:24-cv-00147
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June 17, 2024
Marathon Ineligible For $247M Fuel Tax Refund, IRS Says
Energy giant Marathon Petroleum isn't entitled to $247 million in tax refunds for its alternative fuel mixtures because its eligibility for the credits hadn't yet been approved by the Internal Revenue Service when it made the refund request, the agency told an Ohio federal court.
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January 25, 2024
Marathon Seeks $247M In Alternative Fuel Tax Refunds
Energy giant Marathon Petroleum told an Ohio federal court Thursday that the government owes it $247 million in excise tax refunds, saying the Internal Revenue Service has refused to allow the company tax credits for producing alternative fuel mixtures that include propane and ethane.