Burnet v. Sanford & Brooks Co.

Burnet v. Sanford & Brooks Co.

Argued December 5, 8, 1930
Decided January 5, 1931
Full case name Burnet, Commissioner of Internal Revenue, v. Sanford & Brooks Co.
Citations

282 U.S. 359 (more)

51 S. Ct. 150; 75 L. Ed. 383; 1931 U.S. LEXIS 7; 2 U.S. Tax Cas. (CCH) P636; 9 A.F.T.R. (P-H) 603; 1931-1 C.B. 363; 1931 P.H. P389
Holding
An annual accounting system is a practical necessity if the federal income tax is to produce revenue ascertainable and payable at regular intervals.
Court membership
Case opinions
Majority Stone, joined by unanimous

Burnet v. Sanford & Brooks Co., 282 U.S. 359 (1931), was a case heard before the United States Supreme Court dealing with accounting for purposes of federal income tax and the Sixteenth Amendment to the United States Constitution. The case held that an annual accounting system is a practical necessity if the federal income tax is to produce revenue ascertainable and payable at regular intervals.

The case was decided at a time when losses could not be carried forward to future years. Section 172 of the Internal Revenue Code now generally allows losses to be carried back 2 years and forward 20 years.


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