for The Missouri Bar
1. United States v. Basye, No. 71-1022 , SUPREME COURT OF THE UNITED STATES, December 11, 1972, Argued , February 27, 1973, Decided
OVERVIEW: Payment made to physicians, and medical partnership, which were deflected to retirement plan, were considered compensation for services rendered and should have been reported to the IRS as taxable income when received.
If you are not a registered lexisONE® Community user, you will be asked to register.
Registration is free.