Dissent Douglas | End date 1955 | |
Full case name Commissioner of Internal Revenue v. Glenshaw Glass Company Citations 348 U.S. 426 (more)75 S. Ct. 473; 99 L. Ed. 483; 1955 U.S. LEXIS 1508; 55-1 U.S. Tax Cas. (CCH) P9308; 47 A.F.T.R. (P-H) 162; 1955-1 C.B. 207 Prior history Certiorari to the United States Court of Appeals for the Third Circuit Majority Warren, joined by Black, Reed, Frankfurter, Burton, Clark, Minton Ruling court |
Commissioner v. Glenshaw Glass Co., 348 U.S. 426 (1955), was an important income tax case before the United States Supreme Court. The Court held as follows:
Contents
Facts
Two factually distinct cases were consolidated because they presented the same issue.
Opinion of the Court
The Supreme Court, in an opinion by Chief Justice Earl Warren, held that the award of treble damages was taxable income.
In the opinion, Warren pointed out that the language of section 22(a) (the predecessor of current section 61(a)) was employed by Congress in order utilize "the full measure of its taxing power," as provided for under the Sixteenth Amendment. Essentially, Congress, in enacting section 22(a), intended to tax all gains except those specifically exempted.
The Court then held that the amounts received by the taxpayers in this case were "instances of undeniable accessions to wealth, clearly realized, and over which the taxpayers have complete dominion."
This three-part "test" for determining income is broader than the earlier test employed by the Court in Eisner v. Macomber, and is to this day the preferred test for identifying gross income.