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''Old Colony Trust Co. v. Commissioner'', ,〔(279 U.S. 716 ) Full text of the opinion courtesy of Findlaw.com〕 was an income tax case before the Supreme Court of the United States. HELD: *When a third party purports to pay a person's income tax on his behalf, it must include the amount of the tax payment in the gross income on which it calculates his tax liability, because Federal income tax payments are not tax deductible. ==Facts and procedural history== In 1916, the American Woolen Company adopted a resolution which provided that the company would pay all taxes due on the salaries of the company's officers. It calculated the employees' tax liabilities based on a gross income that omitted, or excluded, the amount of the income taxes themselves. In 1925, the Bureau of Internal Revenue assessed a deficiency for the amount of taxes paid on behalf of the company's president, William Madison Wood, arguing that his $681,169.88 tax payment had wrongly been excluded from his gross income in 1919, and that his $351,179.27 tax payment had wrongly been excluded from his gross income in 1920. Old Colony Trust Co., as the executors of Wood's estate, filed suit in the District Court for a refund, then appealed to the Board of Tax Appeals (the predecessor to the United States Tax Court). The petitioners then appealed the Board's decision to the United States Court of Appeals for the First Circuit. 抄文引用元・出典: フリー百科事典『 ウィキペディア(Wikipedia)』 ■ウィキペディアで「Old Colony Trust Co. v. Commissioner」の詳細全文を読む スポンサード リンク
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