The document you are attempting to view belongs to a group of over 2000+ restricted divorce related documents. If you are interested in viewing this complete document and having access to the other 2000+ documents, you must establish an active Divorce Research Center account.
If you have already created an account, sign in below.
Otherwise, you will need to
Create an Account.
Document summary:
The wife did not contribute to the retained earnings of a Subchapter S corporation merely (1) by being taxed upon corporate income, where there was no showing that marital funds were used to pay the taxes and (2) by being physically present at board meetings and casting nominal votes on corporate issues, where other persons clearly made all of the key managerial decisions.
|
|