United States v. Kirby Lumber Co. | |
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Argued October 21, 1931 Decided November 2, 1931 | |
Full case name | United States v. Kirby Lumber Company |
Citations | 284 U.S. 1 (more) |
Case history | |
Prior | Kirby Lumber Co. v. United States, 44 F.2d 885 (Ct. Cl. 1930); Cert. granted, 283 U.S. 814 (1931). |
Holding | |
If a corporation purchases and retires bonds at a price less than their face value or issuing price, the excess amount of the purchase price over the issuing price is a taxable gain. | |
Court membership | |
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Case opinion | |
Majority | Holmes, joined by unanimous |
Laws applied | |
§ 213 of the Revenue Act of 1921 |
United States v. Kirby Lumber Co., 284 U.S. 1 (1931), was a case in which the United States Supreme Court held that when a corporation settles its debts for less than the face amount, a taxable gain has occurred.[1]