Full text
United States v. Kirby Lumber Co.

Loading…
Opinion
284 U.S. 1 · Supreme Court of the United States · Nov 2, 1931
Full text
United States v. Kirby Lumber Co.
Citations
Cited by
Sixth Circuit · Mar 19, 2025
D. Oregon · Dec 23, 2024
S.D. New York · Sep 25, 2024
Supreme Court · Jun 20, 2024
U.S. Tax Court · Aug 16, 2023
U.S. Tax Court · Jul 25, 2023
U.S. Tax Court · Jan 17, 2023
U.S. Tax Court · Jan 13, 2021
U.S. Tax Court · Jan 13, 2021
U.S. Tax Court · Oct 14, 2020
U.S. Tax Court · Jul 15, 2020
Tenth Circuit · Apr 7, 2020
Parentheticals
holding that the gain or saving that is realized by a debtor by the reduction or cancellation of its outstanding debt obligation for an amount less than the total amount due is income to the taxpayer
Lloyd v. Epartment of Revenue, Tc-Md 070596d (or.tax 5-8-2008)
finding that discharge of indebtedness caused the corporation taxpayer to realize an “accession to income” and was taxable under the Code
reviewing the constitutionality of § 22(a), the predecessor of current § 61(a)
"In 1954, Congress codified the ruling in Kirby Lumber, specifically providing that gross income includes `[i]ncome from discharge of indebtedness.' "
Gain to corporation by redeeming bonds at a price less than par value
corporation’s repurchase of bonds at less than face value was taxable income