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USD ($)
USD ($) / shares
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<p style="MARGIN-TOP: 0px; MARGIN-BOTTOM: 0px"><font style="FONT-FAMILY: Times New Roman" size="2"><b>NOTE 15. INCOME
TAXES</b></font></p>
<p style="MARGIN-TOP: 6px; TEXT-INDENT: 4%; MARGIN-BOTTOM: 0px">
<font style="FONT-FAMILY: Times New Roman" size="2">In the first
quarter of 2010, we changed the tax status of a German subsidiary
that was taxable in the U.S. and its local jurisdiction to one that
is taxed solely in its local jurisdiction. This change was made
primarily to allow for more flexibility in funding this
subsidiary’s operations with local liquidity sources, improve
the cash flow position in the U.S., and help mitigate future
currency re-measurement risk. As a result of this change in tax
status, we recorded a non-cash charge of $76 million, which
resulted primarily from the write-off of related deferred tax
assets which will not be realizable following the change in tax
status.</font></p>
<p style="MARGIN-TOP: 12px; TEXT-INDENT: 4%; MARGIN-BOTTOM: 0px">
<font style="FONT-FAMILY: Times New Roman" size="2">We file income
tax returns in the U.S. federal jurisdiction, most U.S. state and
local jurisdictions, and many non-U.S. jurisdictions. We have
substantially resolved all U.S. federal income tax matters for tax
years prior to 2003. During the fourth quarter of 2010, we received
a refund of $139 million as a result of the resolution of tax years
2003 through 2004 with the IRS Appeals Office. Along with the audit
for tax years 2005 through 2007, the IRS is currently examining
non-income based taxes, including employment and excise taxes,
which could lead to proposed assessments. The IRS has not presented
an official position with regard to these taxes at this time, and
therefore we are not able to determine the technical merit of any
potential assessment. We anticipate receipt of the IRS reports on
these matters by the end of the second quarter of 2011. We have
filed all required U.S. state and local returns reporting the
result of the resolution of the U.S. federal income tax audit of
the tax years 2003 and 2004. A limited number of U.S. state and
local matters are the subject of ongoing audits, administrative
appeals or litigation.</font></p>
<p style="MARGIN-TOP: 12px; TEXT-INDENT: 4%; MARGIN-BOTTOM: 0px">
<font style="FONT-FAMILY: Times New Roman" size="2">A number of
years may elapse before an uncertain tax position is audited and
ultimately settled. It is difficult to predict the ultimate outcome
or the timing of resolution for uncertain tax positions. It is
reasonably possible that the amount of unrecognized tax benefits
could significantly increase or decrease within the next twelve
months. Items that may cause changes to unrecognized tax benefits
include the timing of interest deductions and the allocation of
income and expense between tax jurisdictions. These changes could
result from the settlement of ongoing litigation, the completion of
ongoing examinations, the expiration of the statute of limitations,
or other unforeseen circumstances. At this time, an estimate of the
range of the reasonably possible change cannot be made.</font></p>
</div>NOTE 15. INCOME
TAXES
In the first
quarter of 2010, we changed the tax status of a German subsidiary
that was taxable in the U.S. and its local jurisdictionfalsefalsefalsefalsefalseOtherus-types:textBlockItemTypestringDescription containing the entire income tax disclosure. Examples include net deferred tax liability or asset recognized in an enterprise's statement of financial position, net change during the year in the total valuation allowance, approximate tax effect of each type of temporary difference and carryforward that gives rise to a significant portion of deferred tax liabilities and deferred tax assets, utilization of a tax carryback, and tax uncertainties information. This element may be used as a single block of text to encapsulate the entire disclosure including data and tables.Reference 1: http://www.xbrl.org/2003/role/presentationRef
-Publisher SEC
-Name Regulation S-X (SX)
-Number 210
-Section 08
-Paragraph h
-Article 4
Reference 2: http://www.xbrl.org/2003/role/presentationRef
-Publisher FASB
-Name Statement of Financial Accounting Standard (FAS)
-Number 109
-Paragraph 136, 172
Reference 3: http://www.xbrl.org/2003/role/presentationRef
-Publisher FASB
-Name Statement of Financial Accounting Standard (FAS)
-Number 109
-Paragraph 43, 44, 45, 46, 47, 48, 49
falsefalse11INCOME TAXESUnKnownUnKnownUnKnownUnKnownfalsetrue