Opinion · Supreme Court of the United States

Equitable Life Assurance Society v. Commissioner

Equitable Life Assurance Soc’y v. Comm’r, 64 S. Ct. 722 (1944)

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1944-04-24
Topic
general

Mr. Justice Douglas delivered the opinion of the Court. The question in this case is whether petitioner, a mutual life insurance company, was entitled to deduct from its gross income for 1933 “excess interest dividends” paid within that year. The deduction was authorized if the amounts were “interest” paid on “indebtedness” 1 within the meaning of § 203 (a) (8) of the Revenue Act of 1932, 47 Stat. 169, 225. The Tax Court denied the deduction. 44 B.

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