NORTH AMERICAN OIL CONSOLIDATED V. BURNET
286 U.S. 417 (1932)
NATURE OF THE CASE: This was a dispute over the tax status of monies received. North
American (D) appealed decisions in favor of the IRS.
FACTS: D held property owned by the U.S. A suit was instituted to oust D from the
property. A receiver was appointed to manage the property and to retain all income until the
suit was decided or settled. D got the judgment on the suit in 1917 and the income that was
earned from the property in 1916 was given to it; that was $171,979.22. The government kept
up the appeals process and eventually in 1922 the laws suit was settled in D's favor. D put
the income into an amended return for 1916, which was filed in 1918. The IRS was auditing
D's books in 1917 and based on that suit eventually in 1927 decided to increase the amounts
due in 1917 by the monies paid to D by the receiver. The board held that the profits were
taxable in 1916 based on cash basis accounting and the appeals court held they were taxable
in 1917 regardless of whether D's books were cash or accrual. The Supreme Court granted
certiorari.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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