Prior cases
In 1895, the Supreme Court held in '' Pollock v. Farmers' Loan & Trust Co.'' that a tax from income on property, unlike a tax on income from employment or vocations, had to be proportionate to the states' congressional representation. In 1913, the United States ratified the Sixteenth Amendment, which allowed taxation of income without regard to source (income from either property or vocations and employment) and without regard to a state's Congressional representation. In 1918, the Court, in '' Towne v. Eisner'' , had addressed a nearly-identical situation to one in ''Eisner v. Macomber''. (Eisner was responsible for Internal Revenue Collection in both cases). However, in the aftermath of ''Towne v. Eisner'', the US Congress passed a revenue collection statute that specifically stated that stock dividends were to be considered as income.Facts
Myrtle H. Macomber owned 2,200 shares inEconomic substance of a stock dividend
The stock dividend in this case was the economic equivalent of a stock split, a transaction in which the corporation multiplies the total number of shares outstanding but gives the new shares to shareholders in proportion to the number that they had held. For example, if a corporation declares a "two for one" stock split and distributes no money or other property to any stockholder, a stockholder who held 100 shares at $4 per share will now hold 200 shares with a value of $2 each, both of which with $400 in value.Stock dividends vs. cash dividends
A shareholder's assets do not grow after this sort of stock dividend. Metaphorically, the "pie" is still the same size, but it has been sliced into more pieces, each piece being proportionately smaller. Of course, the same is true of a cash dividend: the shareholder gains cash, but the corporation that is represented by his shares has also lost cash. The shares thus implicitly decline in value by an equal amount. A shareholder also makes no "sale or other disposition" of stock after this sort of stock dividend. The taxpayer still owns the same proportionate percentage of the corporation that was owned before the stock dividend. Again, that is true of a cash dividend as well. However, several important factors distinguish a stock and cash dividend. "Overall, the aim of the tax law is to impose a tax on "dividends" when assets representing corporate earnings are transferred to the shareholders. Stock dividends, however, merely give the shareholders additional pieces of paper to represent the same equitable interest; they do not transfer assets or create new priorities among the security-holders. The total value of the common shares, though now spread out over a larger number of units, is left unchanged from its previous level. In effect, nothing of substance has occurred." The issue in the case was the following:Decision
In the majority opinion, Justice Mahlon Pitney ruled that the stock dividend was not a realization of income by the taxpayer-shareholder for the purposes of the Sixteenth Amendment: ::We are clear that not only does a stock dividend really take nothing from the property of the corporation and add nothing to that of the shareholder, but that the antecedent accumulation of profits evidenced thereby, while indicating that the shareholder is richer because of an increase of his capital, at the same time shows he has not realized or received any income in the transaction. The Court noted that in ''Towne v. Eisner'', it had clearly stated that stock dividends were not income, as nothing of value was received by Towne; the company was not worth any less than it was when the dividend was declared, and the total value of Towne's stock had not changed. Although the Court acknowledged the power of the Federal Government to tax income under the Sixteenth Amendment, it essentially said that Congress was not given the power to tax as income anything other than income. In others words, Congress did not have the power to redefine "income" as it appeared in the Constitution: ::Throughout the argument of the Government, in a variety of forms, runs the fundamental error already mentioned—a failure to appraise correctly the force of the term "income" as used in the Sixteenth Amendment, or at least to give practical effect to it. Thus, the Government contends that the tax "is levied on income derived from corporate earnings," when in truth the stockholder has "derived" nothing except paper certificates which, so far as they have any effect, deny him r "her" — in this case, Mrs. Macomberpresent participation in such earnings. It he governmentcontends that the tax may be laid when earnings "are received by the stockholder," whereas e has received none; that the profits are "distributed by means of a stock dividend," although a stock dividend distributes no profits; that under the Act of 1916 "the tax is on the stockholder's share in corporate earnings," when in truth a stockholder has no such share, and receives none in a stock dividend; that "the profits are segregated from his erformer capital, and e has a separate certificate representing his erinvested profits or gains," whereas there has been no segregation of profits, nor has e any separate certificate representing a personal gain, since the certificates, new and old, are alike in what they represent—a capital interest in the entire concerns of the corporation. The Court ordered that Macomber be refunded the tax she overpaid.Dissents
In the dissent, JusticeAftermath
In any event, the success of investors in avoiding tax was short lived. The following year, the Court ruled that capital gains were income and that they should be recognized as income when the stock was sold. In addition, the exception for stock dividends was narrowed by the Court in such cases as '' United States v. Phellis'', (shares in a subsidiary corporation that were issued to stockholders in the parent corporation were taxable as income); '' Rockefeller v. United States'' and '' Cullinan v. Walker'' (increases in capital accumulated by corporations over time were taxable when shares were distributed to stockholders in a successor corporation). In 1940, the Supreme Court departed from the realization concept described in ''Eisner v. Macomber'' when it held in ''Use by tax protesters
''Eisner v. Macomber'' is a key case in US income tax law. Its rather narrow but important application has been used byIn order, therefore, that the clauses cited from Article I of the Constitution may have proper force and effect save only as modified by the Amendment, and that the latter also may have proper effect, it is essential to distinguish between what is and what is not income" as the term is there used; and to apply the distinction as cases arise according to truth and substance without regard to form. ''Congress by any definition it may adopt cannot conclude the matter, since it cannot by legislation alter the Constitution, from which it derives its power to legislate, and within whose limitations alone that power can be lawfully exercised'' mphasis added/blockquote> The Supreme Court in the case discussed what was income, and quoted from ''Towne v. Eisner'':Just as we deem the legislative intent manifest to tax the stockholder with respect to such accumulations only if and when, and to the extent that, his interest in them comes to fruition as income, that is, in dividends declared, so we can perceive no constitutional obstacle that stands in the way of carrying out this intent when dividends are declared out of a pre-existing surplus.... ''Congress was at liberty under the amendment to tax as income, without apportionment, everything that became income, in the ordinary sense of the word, after the adoption of the amendment, including dividends received in the ordinary course by a stockholder from a corporation'', even though they were extraordinary in amount and might appear upon analysis to be a mere realization in possession of an inchoate and contingent interest that the stockholder had in a surplus of corporate assets previously existing. mphasis added/blockquote> Important principles in ''Eisner v. Macomber'' are that the word "income" in the Sixteenth Amendment is generally given its ordinary plain English meaning and that wealth and property that are not income may not be taxed ''as income'' by the Federal Government.
See also
* ''Irwin v. Gavit ''Irwin v. Gavit'', 268 U.S. 161 (1925), was a case before the U.S. Supreme Court regarding the taxability, under United States tax law, of a divided interest in a bequest. It is notable (and thus appears frequently in law school casebooks) for ...'' *List of United States Supreme Court cases, volume 252 This is a list of cases reported in volume 252 of ''United States Reports'', decided by the Supreme Court of the United States in 1920. Justices of the Supreme Court at the time of volume 252 U.S. The Supreme Court is established by ...
References
Sources
Chatfield, Michael. "Eisner v. Macomber." In ''History of Accounting: An International Encyclopedia,''
edited by Michael Chatfield and Richard Vangermeersch. New York: Garland Publishing, 1996. P. 226. * *
External links
* * * Unsuccessful attempts to use Macomber as justification for not paying taxes at quatloos.com:
Snyder v. Indiana Department of State Revenue
{{US16thAmendment United States Supreme Court cases United States Supreme Court cases of the White Court United States Sixteenth Amendment case law 1920 in United States case law Dividends