Old Colony Trust Co. V. Commissioner
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''Old Colony Trust Co. v. Commissioner'', 279 U.S. 716 (1929), was an income tax case before the Supreme Court of the United States. HELD: ::When an employer pays an employee's
income tax An income tax is a tax imposed on individuals or entities (taxpayers) in respect of the income or profits earned by them (commonly called taxable income). Income tax generally is computed as the product of a tax rate times the taxable income. Tax ...
on the employee's behalf, the payment is taxable as income to the employee.


Facts and procedural history

In 1916, the
American Woolen Company The American Woolen Company is a designer, manufacturer and distributor of men’s and women’s worsted and woolen fabrics. Based in Stafford Springs, Connecticut, the company operates from the 160-year-old Warren Mills, which it acquired from Lo ...
adopted a resolution which provided that the company would pay all taxes due on the salaries of the company's
officers An officer is a person who has a position of authority in a hierarchical organization. The term derives from Old French ''oficier'' "officer, official" (early 14c., Modern French ''officier''), from Medieval Latin ''officiarius'' "an officer," f ...
. 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 William Madison Wood (June 18, 1858 – February 2, 1926) was an American textile mill owner of Lawrence, Massachusetts who was considered to be an expert in efficiency. He made a good deal of his fortune through being hired by mill owners to tu ...
, 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 United States Tax Court (in case citations, T.C.) is a federal trial court of record established by Congress under Article I of the U.S. Constitution, section 8 of which provides (in part) that the Congress has the power to "constitute Tr ...
). The petitioners then appealed the Board's decision to the United States Court of Appeals for the First Circuit, which certified the following question to be decided by the U.S. Supreme Court: "Did the payment by the employer of the income taxes assessable against the employee constitute additional taxable income to such employee?"


Majority opinion

Justiciability. Chief Justice Taft, writing for the majority, first held that the appeal of Wood's executors was a
justiciable Justiciability concerns the limits upon legal issues over which a court can exercise its judicial authority. It includes, but is not limited to, the legal concept of standing, which is used to determine if the party bringing the suit is a party ...
case or controversy The Supreme Court of the United States has interpreted the Case or Controversy Clause of Article III of the United States Constitution (found in Art. III, Section 2, Clause 1) as embodying two distinct limitations on exercise of judicial review: ...
for the court to decide. Furthermore, the fact that the
Revenue Act of 1926 The United States Revenue Act of 1926, , reduced inheritance and personal income taxes, cancelled many excise imposts, eliminated the gift tax and ended public access to federal income tax returns. Passed by the 69th Congress, it was signed into ...
(which altered the appeals process for tax deficiencies) was passed while the case was under review by the Board of Tax Appeals did not cut off the judicial process sought by the petitioners. Taft held that the principle of ''
res judicata ''Res judicata'' (RJ) or ''res iudicata'', also known as claim preclusion, is the Latin term for "a matter decided" and refers to either of two concepts in both civil law and common law legal systems: a case in which there has been a final judgm ...
'' resolved the
jurisdiction Jurisdiction (from Latin 'law' + 'declaration') is the legal term for the legal authority granted to a legal entity to enact justice. In federations like the United States, areas of jurisdiction apply to local, state, and federal levels. J ...
al issue, because regardless of whether the District Court action or the Board's action were decided first, the judgment which was first in time would then be properly appealable. Merits. Taft held that payment of Mr. Wood's taxes by his employer constituted additional taxable income to him for the years in question. The fact that a person induced or permitted a third party to pay income taxes on his behalf does not excuse him from filing a
tax return A tax return is the completion of documentation that calculates an entity or individual's income earned and the amount of taxes to be paid to the government or government organizations or, potentially, back to the taxpayer. Taxation is one of ...
. Furthermore, Taft added, "The discharge by a third person of an obligation to him is equivalent to receipt by the person taxed." 279 U.S. 716 at 729. Thus, the company's payment of Wood's tax bill was the same as giving him extra income, regardless of the mode of payment. Further, the payment of taxes of Wood's behalf did not constitute a gift in the legal sense, because it was made in consideration of his services to the company, thus making the payment part of his compensation package. (This case did not change the general rule that gifts are not includable in gross income for the purposes of U.S. Federal income taxation, while some gifts but not all gifts from an employer to an employee are taxable to the employee.).


Dissent

Justice McReynolds wrote a brief dissent. He felt that the Court of Appeals was without jurisdiction because the Revenue Act of 1926 interfered with the executive power of the Board of Tax Appeals.


Academic commentary

Petitioner was essentially arguing that Federal income taxes should be tax deductible. The holding of this case is today embodied in Internal Revenue Code §275, which was added to the Code in 1964 and which specifically disallows a deduction for federal income taxes.


See also

*
List of United States Supreme Court cases, volume 279 This is a list of cases reported in volume 279 of ''United States Reports'', decided by the Supreme Court of the United States in 1929. Justices of the Supreme Court at the time of volume 279 U.S. The Supreme Court is established by A ...


References


External links

* *{{caselaw source , case = ''Old Colony Trust Co. v. Commissioner'', {{ussc, 279, 716, 1929, el=no , courtlistener =https://www.courtlistener.com/opinion/101450/old-colony-trust-co-v-commissioner/ , findlaw = https://caselaw.findlaw.com/us-supreme-court/279/716.html , googlescholar = https://scholar.google.com/scholar_case?case=6845680902173204894 , justia =https://supreme.justia.com/cases/federal/us/279/716/ , loc =http://cdn.loc.gov/service/ll/usrep/usrep279/usrep279716/usrep279716.pdf 1929 in United States case law United States Supreme Court cases United States Supreme Court cases of the Taft Court United States taxation and revenue case law American Woolen Company