Skip to content. | Skip to navigation

Sections
Personal tools
Log in
You are here: Home Tax Cases Tax Cases DMI Inc. v. Commissioner
 

DMI Inc. v. Commissioner

The taxpayer paid its principal shareholder and key employee compensation determined by reference to the year-end profits of the employer-corporation.

The Internal Revenue Service contended that a portion of the compensation paid was unreasonable and should be treated as a dividend distribution.  80-2 U.S.T.C. ΒΆ9576 (1969).

Document Actions

Client Site Login         Legal Notice                            416 Main Street, Suite 400, Peoria, Illinois 61602   p. 309.680.8000