§9111

2 cases·1 followed·1 cited50% support

Statute text not available for this section.

2 Citing Cases

We hold that petitioner does not qualify for the exclusion because his tax home was in the United States .

William D. & Yen-Ling K. Rogers, Petitioner T.C. Memo. 2009-111 · 2009

The issue for decision is whether petitioners are entitled to exclude under section 9111 all wage income Mrs .