Search Supreme Court Cases
MCCAIN V. COMMISSIONER, 311 U. S. 527 (1941)
U.S. Supreme Court
McCain v. Commissioner, 311 U.S. 527 (1941)
McCain v. Commissioner of Internal Revenue
Argued December 12, 1940
Decided January 6, 1941
311 U.S. 527
1. Losses sustained by holders of corporate and municipal bonds upon their surrender for cash to the obligors held deductible, in computing taxable income under the Revenue Act of 1934, only to the limited extent provided by § 117(d), relating to losses from sales or exchanges of capital assets, and not in full as bad debts under § 23(k). The amounts received in such transactions are amounts received upon the "retirement" of the bonds within the meaning of § 117(f). P. 311 U. S. 529.
2. In common understanding and according to dictionary definition, the word "retirement" is broader in meaning than the word "redemption." P. 311 U. S. 530.
3. The correction of inconsistencies and inequalities in the operation of a statute of the United States is for Congress, and not the courts. P. 311 U. S. 530.
110 F.2d 878 affirmed.
108 F.2d 642, reversed.
Certiorari, 310 U.S. 620, to review judgments which, in No. 55 affirmed, and in No. 58 reversed, orders of the Board of Tax Appeals sustaining the Commissioner's disallowance of deductions in income tax returns. See 40 B.T.A. 60.
Official Supreme Court caselaw is only found in the print version of the United States Reports. Justia caselaw is provided for general informational purposes only, and may not reflect current legal developments, verdicts or settlements. We make no warranties or guarantees about the accuracy, completeness, or adequacy of the information contained on this site or information linked to from this site. Please check official sources.