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You are here: Home Tax Cases Tax Cases Fort Transfer Co. v. United States
 

Fort Transfer Co. v. United States

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 (1983).

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