Opinion · Supreme Court of the United States

Squire v. Capoeman

Squire v. Capoeman, 76 S. Ct. 611 (1956)

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1956-04-23
Topic
general

recognizing tax exemption for income derived directly from land held in trust for an Indian allottee | stating that "exemptions to tax laws should be clearly expressed" and interpreting the treaty and Allotment Act as providing such clear expression of exemption | stating that “exemptions to tax laws should be clearly expressed” and interpreting the treaty and Allotment Act as providing such clear expression of exemption | recognizing tax exemption for income derived directly from land held in trust for an Indian allottee | holding that Indians are United States citizens | construing the General Allotment Act to exempt from federal income tax Indian income derived from trust allotments | construing sections 5 and 6 of The General Allotment Act of 1887 to create an express tax exemption for an Indian deriving income directly from his own trust allotment | construing General Allotment Act §§ 5-6 to create exemption from not-yet-created federal income tax | construing General Allotment Act §§ 5-6 to create exemption from not-yet-created federal income tax | reading section 6’s termination of “all restrictions as to sale, incumbrance, or taxation” into section 5’s prohibition on any “charge or incumbrance” | rejecting claim of federal tax exemption for income from tribal employment | construing sections 5 and 6 of The General Allotment Act of 1887 to create an express tax exemption for an Indian deriving income directly from his own trust allotment | Indian canon offsetting tax canon when related statutory provision and history make clear that language freeing Indian land “‘of all charge or incumbrance whatsoever’” includes tax | Indian canon offsetting tax canon when related statutory provision and history make clear that language freeing Indian land "`of all charge or incumbrance whatsoever' " includes tax | profits from sale of timber felled on reservation held exempt from federal capital gains tax | “[I]n ordinary affairs of life, not governed by treaties or remedial legislation, [Indians] are subject to the payment of income taxes as are other citizens.” | “[A] State is not required by the Federal 7 Constitution to provide appellate courts or a right to appellate review at all.” | profits from sale of timber felled on reservation held exempt from federal capital gains tax | “[I]n ordinary affairs of life, not governed by treaties or remedial legislation, [Indians] are subject to the payment of income taxes as are other citizens.” | “Indians are citizens and ... in ordinary affairs of life, not governed by treaties or remedial legislation, they are subject to the payment of income taxes as are other citizens.” | “Indians are citizens and ... in ordinary affairs of life, not governed by treaties or remedial legislation, they are subject to the payment of income taxes as are other citizens.” | "[T]o be valid, exemptions to tax laws should be clearly expressed" | “[T]o be valid, exemptions to tax laws should be clearly expressed” | which held that income directly derived from tax-exempt trust land is likewise tax-exempt | "Indians are citizens and * * * in ordinary affairs of life, not governed by treaties or remedial legislation, they are subject to the payment of income taxes as are other citizens" | which held that income directly derived from tax-exempt trust land is likewise tax-exempt | “We agree with the Government that Indians are citizens and that in ordinary affairs of life, not governed by treaties or remedial legislation, they are subject to the payment of income taxes as are other citizens.” | proceeds are preserved for Indian until he is declared competent | “[T]o be valid, exemptions to tax laws should be clearly expressed.” | “[T]o be valid, exemptions to tax laws should be clearly expressed” | “[T]o be valid, exemptions to tax laws should be clearly expressed” | discussing F. Cohen, Handbook of Federal Indian Law 265-66 (1942) | “Indians are citizens and * * * in ordinary affairs of life, not governed by treaties

Citator

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