2013
DOI: 10.19030/jabr.v30i1.8298
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An Empirical Assist In Determining Reasonable Compensation In Closely Held Corporations

Abstract: Reasonable compensation is an often litigated issue in the Tax Court. This frequency of discord arises from the tax codes lack of definitive criteria for determining reasonableness. Moreover, classification of payments to shareholder-employees of closely held corporations can have a significant impact on their cash flows and tax burdens. According to 162 of the Internal Revenue Code, reasonable compensation can be deducted from taxable income of a corporation, but amounts paid to shareholders in excess of the … Show more

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