Opinion · Supreme Court of the United States

Old Colony Trust Co. v. Commissioner

49 S. Ct. 499

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1929-06-03
Topic
general

holding that a third person’s payment of a taxpayer’s obligation is equivalent to the receipt of the amount of the obligation by the taxpayer | holding that a third person's payment of a taxpayer's obligation is equivalent to the receipt of the amount of the obligation by the taxpayer | holding that payment of employee's income tax by employer is itself taxable form of income, and rejecting argument that result would create "a tax upon a tax.” | holding that a third person's payment of a taxpayer's obligation is equivalent to the receipt of the amount of the obligation by the taxpayer | concluding that the employer’s direct payment to the IRS of the income tax due on an employee’s salary constituted taxable income and that it was “immaterial that the taxes were directly paid over to the [g]overnment” | finding that an employee received taxable income where his employer paid tax liability on his behalf | finding that an employee received taxable income where his employer paid tax liability on his behalf | noting argument that infinite compounding of income tax paid by company for employee, the “tax paid on a tax,” “results in an absurdity” | applying same rule to employer’s payment of income tax on behalf of employee, noting; "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed.” | individual taxpayer constructively received income to the extent corporate employer agreed to pay his tax bill | individual taxpayer constructively received income to the extent corporate employer agreed to pay his tax bill | payment by a corporation of a personal expense or debt of a shareholder is considered as the receipt of a taxable benefit | “It is ... immaterial that the taxes were directly paid over to the government [by the taxpayer’s employer, rather than by the taxpayer].” | "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed.” | "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed." | "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed." | employer's payment of employee's income tax obligation in consideration of employee's services for employer constitutes income to employee | employer’s payment of employee’s income tax obligation in consideration of employee’s services for employer constitutes income to employee | payment by an employer of an employee's income tax obligation in consideration of the employee's services performed on behalf of the employer constitutes income to the employee | payment by an employer of an employee’s income tax obligation in consideration of the employee’s services performed on behalf of the employer constitutes income to the employee | “[t]he discharge by a third person of an obligation to him is equivalent to receipt by the person taxed” | "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed" | “The discharge by a third person of an obligation to [the taxpayer] is equivalent to receipt by the person taxed.” | “The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed.” | discharge of employee’s obligation to pay income taxes in consideration of services rendered to corporation constitutes taxable income to employee | “The discharge by a third person of [a taxpayer’s tax] obligation . . . is equivalent to receipt by the [taxpayer].” | “The discharge by a third person of an obligation to [the taxpayer] is equivalent to receipt by the person taxed.” | employer’s payment of employee’s income tax obligation in consideration of employee’s services for employer constitutes income to employee | "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed." | "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed." | individual taxpayer constru

Citator

Authority status
pending
Cited by
835 opinions