Opinion · Supreme Court of the United States

Cottage Savings Assn. v. Commissioner

111 S. Ct. 1503

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1991-04-17
Topic
general

holding that "to realize a gain or loss in the value of property, the taxpayer must engage in a 'sale or other disposition of [the] property,'" (alteration in original) (quoting Treas. Reg. § 1001(a)) | stating that by leaving a statute “undisturbed through subsequent reenactments of the [Act],” the Court "may presume that Congress intended to codify [the related] principles” represented by the Court’s contemporary decisions | explaining that, properly understood, “the concept of realization is ‘founded on administrative convenience,’ ” compared to the “ ‘cumbersome’ ” process of “valuing assets on an annual basis to determine . . . appreciat[ion]” | explaining that, properly understood, “the concept of realization is `founded on administrative convenience,' ” com- pared to the “ `cumbersome' ” process of “valuing assets on an annual basis to determine . . . appreciat[ion]” | courts “must defer to [the Commissioner’s] regulatory interpretations of the Code so long as they are reasonable” | "[W]e must defer to [the Commissioner's] regulatory interpretations of the Code so long as they are reasonable." | “[W]e must defer to [the Commissioner’s] regulatory interpretations of the Code so long as they are reasonable.” | regulations "long continued without substantial change, applying to ... substantially reenacted statutes, are deemed to have received congressional approval...." | Treasury regulations and interpretations continued without substantial change, applying to unamended or substantially reenacted statutes, are deemed to have received Congressional approval and have the effect of law. | Treasury’s interpretations of the Code should be upheld “so long as they are reasonable” | "Treasury regulations and interpretations long continued without substantial change, applying to unamended or substantially reenacted statutes, are deemed to have received congressional approval and have the effect of law." (internal quotations omitted) | Treasury's interpretations of the Code should be upheld "so long as they are reasonable" | “ ‘Treasury Regulations and interpretations long continued without substantial change, applying to unamended or substantially reenacted statutes, are deemed to have received Congressional approval and have the effect of law.’ ” | “Treasury regulations and interpretations long continued without substantial change, applying to unamended or substantially reenacted statutes, are deemed to have received congressional approval and have the effect of law.” (internal quotations omitted) | “[T]here is no contention that the transactions in this case were not conducted at arm’s length, or that Cottage Savings retained de facto ownership of the participation interests[.]” | Treasury regulations and interpretations continued without substantial change, applying to unamended or substantially reenacted statutes, are deemed to have received Congressional approval and have the effect of law. | exchange of property gives rise to a realization event under section 1001 so long as the exchanged properties are "materially different"; i.e., so long as they embody a legally distinct entitlement | “reasonable” interpretation of statute by Department of Health and Human Services accorded deference | “ “ T reasury regulations and interpretations long continued without substantial change, applying to una­ mended or substantially reenacted statutes, are deemed to have received congres­ sional approval and have the effect of law.’” ” | "Rather than assessing tax liability on the basis of annual fluctuations in the value of a taxpayer's property, the Internal Revenue Code defers the tax consequences of a gain or loss in property value until the taxpayer 'realizes' the gain or loss." | “Rather than assessing tax liability on the basis of annual fluctuations in the value of a taxpayer’s property, the Internal Revenue Code defers the tax consequences of a gain or loss in property value until the taxpayer ‘realizes’ the gain or loss.”

Citator

Cited by
88 opinions