Opinion · Supreme Court of the United States

Great Western Power Co. v. Commissioner of Internal Revenue

56 S. Ct. 576

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1936-03-16
Topic
general

Mr. Justice Roberts delivered the opinion of the Court. The parties disagree as to petitioner’s right to deduct from gross income for 1924 unamortized discount, premiums, and expenses paid, and incurred in that year in connection with the retirement of certain bonds. The petitioner took the deduction in its income tax return. *544 The respondent disallowed it and determined a deficiency.. The petitioner appealed to the Board, of Tax Appeals which held the deduction proper. 1 The Circuit Court of Appeals reversed the Board’s decision in part. 2 We granted the writ to resolve a conflict. 3 March 1, 1919, the company executed a mortgage securing. four series of bonds, one of which was designated “Series B 7%.” February 1, 1921, the company executed another mortgage, securing bonds known as “General Lien Convertible 8% Gold Bonds,” and thereby covenanted to deposit and pledge with the trustee Series B 7’s equal in par válue to the General Lien 8’s at any time outstanding.

Citator

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25 opinions