Opinion · Supreme Court of the United States

Blair v. Commissioner

57 S. Ct. 330

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1937-02-01
Topic
general

holding that in absence of a valid restraint on alienation, the interest of a trust beneficiary to income for life was present property which could be assigned to others | holding that the validity of a trust assignment is a matter of local law and a State court's determination with regards to such assignment is not reviewable by this Court | holding that State law determines the right of the beneficiary to trust income | referring to the trustee's “title” to, and the beneficiary’s “beneficial interests” in, the corpus | supervening change in tax law precluded res judicata effect of earlier decision | taxpayer’s gift conveyed entire interest in income stream, and so did not fall under assignment of income doctrine | “A military retirement pension, like other pensions, is simply a right to receive a future income stream from the retiree’s employer.” | "A military retirement pension, like other pensions, is simply a right to receive a future income stream from the retiree's employer." | taxpayer’s gift conveyed entire interest in income stream, and so did not fall under assignment of income doctrine | taxpayer’s gift conveyed entire interest in income stream, and so did not fall under assignment of income doctrine | "A military retirement pension, like other pensions, is simply a right to receive a future income stream from the retiree's employer." | “A military retirement pension, like other pensions, is simply a right to receive a future income stream from the retiree’s employer.” | “The question of the validity of the assignments is a question of local law.” | whether assignor of life interest or the assignee was taxable

Citator

Cited by
492 opinions