The R Corporation v United States

January 29, 2013
The order in The R Corporation v. United States on cross-motions for summary judgement. The R Corporation alleged the United States erroneously assessed FICA and FUTA taxes in regard to salepersons performing door-to-door sales. The court determined intangible services are included within the meaning of "consumer products" under 26 U.S.C. Section 3508, the direct seller exemption of the tax code.
Complaints:
The R Corporation
Defendants:
The United States
Text of Complaint:
Decision:
    Categories:
    • Government Relations
    • Tax Center
    • United States
    • Federal
    Tags:

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