Opinion · Supreme Court of the United States

Tyler v. United States

Tyler v. United States, 50 S. Ct. 356 (1930)

Type
Opinion
Court
Supreme Court of the United States
Jurisdiction
Federal
Date
1930-05-19
Topic
general

holding that requiring inclusion in the gross estate for tax purposes of the value of property held in tenants by the entireties form was constitutional | holding that requiring inclusion in the gross estate for tax purposes of the value of property held in tenants by the entireties form was constitutional | holding that imposition of estate tax on property jointly held by husband and wife was not a direct tax because husband’s death had effect of passing to surviving spouse substantial rights in relation to the property | “[T]he tenants constitute a unit; neither can dispose of any part of the estate without the consent of the other; and the whole continues in the survivor” | "[T]he tenants constitute a unit; neither can dispose of any part of the estate without the consent of the other; and the whole continues in the survivor" | the transfer of property at death is a "sufficient condition -- but not a necessary one -- for a constitutional tax" | the transfer of property at death is a “sufficient condition — but not a necessary one — for a constitutional tax” | shares of corporate stock in which the husband created a tenancy by the entireties by a conveyance executed to himself and his wife | “A tax laid upon the happening of an event, as distinguished from its tangible fruits, is an indirect tax which Congress, in respect of some events ... undoubtedly may impose” | “A tax laid upon the happening of an event, as distinguished from its tangible fruits, is an indirect tax which Congress ... undoubtedly may impose.” | the transfer of property at death is a “sufficient condition–-but not a necessary one–-for a constitutional tax”

Citator

Cited by
277 opinions