Opinion · Supreme Court of the United States

Higgins v. Smith

60 S. Ct. 355

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1940-01-08
Topic
general

holding that if an entity "employed for doing business * * * is unreal or a sham" it may be respected or not depending on "the effect of the fiction as best serves the purposes of the tax statute." | involving sale by a taxpayer of securities to a corporation wholly owned by the taxpayer | in determining tax consequences of transfer of assets, substance of a transaction and not its form controls | “the Government may not be required to acquiesce in the taxpayer’s election of that form for doing business which is most advantageous to him” | "the Government may not be required to acquiesce in the taxpayer's election of that form for doing business which is most advantageous to him" | The government may "sustain or disregard the effect of the fiction as best serves the purposes of the tax statute." | “A taxpayer is free to adopt such organization for ** The panel unanimously concludes these cases are suitable for decision without oral argument. See Fed. R. App. P. 34(a)(2 | "A taxpayer is free to adopt such organization for his affairs as he may choose and having elected to do some business as a corporation, he must accept the tax disadvantages" | “The Government may look at actualities and upon determination that the form employed for doing business or carrying out the challenged tax event is unreal or a sham may sustain or disregard the effect of the fiction as best serves the purposes of the tax statute.” | "The Government may look at actualities and upon determination that the form employed for doing business or carrying out the challenged tax event is unreal or a sham may sustain or disregard the effect of the fiction as best serves the purposes of the tax statute." | discussing section that was predecessor to section 165 | reversing 52 F. Supp. 556 | reversing 52 F. Supp. 556 | involving subsidiary traded in securities

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