Doyle v. Mitchell Bros. Co.

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Doyle v. Mitchell Bros. Co.
Seal of the United States Supreme Court.svg
Argued March 4–6, 1918
Decided May 20, 1918
Full case nameDoyle, Collector of Internal Revenue v. Mitchell Bros. Co.
Citations 247 U.S. 179 ( more )
38 S. Ct. 467; 62 L. Ed. 1054; 1918 U.S. LEXIS 1968; 1 U.S. Tax Cas. (CCH) ¶ 17; 3 A.F.T.R. (P-H) 2979
Prior historyJudgment for plaintiffs, 225 F. 437 (W.D. Mich. 1915); aff'd by 235 F. 686 (6th Cir. 1916); rehearing denied by 239 F. 719 (6th Cir. 1917)
Court membership
Chief Justice
Edward D. White
Associate Justices
Joseph McKenna  · Oliver W. Holmes Jr.
William R. Day  · Willis Van Devanter
Mahlon Pitney  · James C. McReynolds
Louis Brandeis  · John H. Clarke
Case opinions
Majority Pitney, joined by unanimous
Laws applied
Corporation Excise Tax Act of 1909, § 38, 36 Stat. 112

Doyle v. Mitchell Bros. Co., 247 U.S. 179 (1918), was a United States Supreme Court case defining gross income. The case held that gross income includes the gain on sale of assets, i.e., the proceeds less cost basis. An alternative theory that gross income should be the gross proceeds, and the cost basis should be allowed as a deduction, was rejected by the Court. The Court also held that the harvesting of timber was not an income recognition event until the timber was sold.

Supreme Court of the United States Highest court in the United States

The Supreme Court of the United States is the highest court in the federal judiciary of the United States. Established pursuant to Article III of the U.S. Constitution in 1789, it has original jurisdiction over a narrow range of cases, including suits between two or more states and those involving ambassadors. It also has ultimate appellate jurisdiction over all federal court and state court cases that involve a point of federal constitutional or statutory law. The Court has the power of judicial review, the ability to invalidate a statute for violating a provision of the Constitution or an executive act for being unlawful. However, it may act only within the context of a case in an area of law over which it has jurisdiction. The court may decide cases having political overtones, but it has ruled that it does not have power to decide nonjusticiable political questions. Each year it agrees to hear about one hundred to one hundred fifty of the more than seven thousand cases that it is asked to review.

Gross income is all a person's receipts and gains from all sources, before any deductions. The adjective "gross", as opposed to "net", generally qualifies a word referring to an amount, value, weight, number, or the like, specifying that necessary deductions have not been taken into account.

Basis, as used in United States tax law, is the original cost of property, adjusted for factors such as depreciation. When property is sold, the taxpayer pays/(saves) taxes on a capital gain/(loss) that equals the amount realized on the sale minus the sold property's basis.

Contents

Background

In 1909, Congress enacted a tax on net income of corporations. Much of the language defining gross income in that law has been retained in current tax law. Thus, court decisions interpreting the meaning of that law may have continuing relevance.

Mitchell Bros. was a timber producer organized in 1903. Upon passage of the predecessor to current income tax law, the company became subject to tax on net income. Mitchell Bros. held various timber lands from which it harvested timber. After harvesting, the timber and land would be sold separately. The Court addressed questions of when income from timber was to be included in taxable income and how taxable income from sale of the land was to be calculated.

Tax law area of law

Tax law or revenue law is an area of legal study which deals with the constitutional, common-law, statutory, tax treaty, and regulatory rules that constitute the law applicable to taxation.

Opinion of the Court

On the gross income question, the Court stated in paragraph 13, "In order to determine whether there has been gain or loss, and the amount of the gain if any, we must withdraw from the gross proceeds an amount sufficient to restore the capital value that existed at the commencement of the period under consideration."

On the timing question, the Court found, in paragraph 17, that the mere harvesting of timber did not give rise to income. The Court held that income from the timber should be recognized when the timber was sold.

Court judicial institution with the authority to resolve legal disputes

A court is any person or institution with authority to judge or adjudicate, often as a government institution, with the authority to adjudicate legal disputes between parties and carry out the administration of justice in civil, criminal, and administrative matters in accordance with the rule of law. In both common law and civil law legal systems, courts are the central means for dispute resolution, and it is generally understood that all people have an ability to bring their claims before a court. Similarly, the rights of those accused of a crime include the right to present a defense before a court.

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