''Stratton's Independence, Ltd. v. Howbert'', 231 U.S. 399 (1913), was a case before the
U.S. Supreme Court
The Supreme Court of the United States (SCOTUS) is the highest court in the federal judiciary of the United States. It has ultimate appellate jurisdiction over all U.S. federal court cases, and over state court cases that involve a point o ...
that addressed the question of
corporate taxation.
[.]
Case
The case was argued on October 21, 1913, and decided on December 1, 1913.
Stratton's Independence, Limited, a British corporation that owned and operated mines in
Colorado
Colorado (, other variants) is a state in the Mountain West subregion of the Western United States. It encompasses most of the Southern Rocky Mountains, as well as the northeastern portion of the Colorado Plateau and the western edge of t ...
, sued in a district court to recover taxes it had paid under protest in accordance with the provisions of the
Corporation Tax Act of 1909. During the year 1909, the firm had had gross sales of $284,682.85 and costs of $190,939.42, resulting in a profit of $93,743.43. In 1910, the figures had been similar.
[
]
Plaintiff's argument
Stratton's contended that the mining and sale of ore
Ore is natural rock or sediment that contains one or more valuable minerals, typically containing metals, that can be mined, treated and sold at a profit.Encyclopædia Britannica. "Ore". Encyclopædia Britannica Online. Retrieved 7 April 2 ...
was an essentially different sort of activity than manufacturing, because it involved the depletion and sale of capital, and should therefore not be taxed in the same way, because taxing the sale of ore amounted to taxing capital.[
]
Majority opinion
Justice Pitney, in the majority opinion, stated that the case raised three questions. The first was whether or not the Corporate Tax Act applied to mining corporations. The second question raised was whether or not proceeds from mining activities constituted "income" by the definition of the act. The final question related to whether or not ore sales were considered income and therefore if the mining corporation could deduct the value of the ore in place before it was mined as depreciation. The court answered the first two questions in the affirmative, but not the third. Mining, Justice Pitney argued, is generally comparable to manufacturing, and is certainly a business; hence, the gains from this activity should be considered income for the purposes of taxation.[
]Chief Justice White
Edward Douglass White Jr. (November 3, 1844 – May 19, 1921) was an American politician and jurist from Louisiana. White was a U.S. Supreme Court justice for 27 years, first as an associate justice from 1894 to 1910, then as the ninth chief j ...
, Justice McKenna
Joseph McKenna (August 10, 1843 – November 21, 1926) was an American politician who served in all three branches of the U.S. federal government, as a member of the U.S. House of Representatives, as U.S. Attorney General and as an Associate Ju ...
, and Justice Holmes dissented on the third question.[
]
Significance
The case represented one of the Supreme Court's early attempts to define the term “income.”
Justice Pitney's description of income as “the gain derived from capital, from labor, or from both combined” has been widely quoted, as has his comment that “the corporation tax act of 1909 was not intended to be and is not, in any proper sense, an 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 ...
law.”
The case has been cited (unsuccessfully) in such cases as '' Hill v. United States'' and ''Cameron v. Internal Revenue Service
Cameron may refer to:
People
* Clan Cameron, a Scottish clan
* Cameron (given name), a given name (including a list of people with the name)
* Cameron (surname), a surname (including a list of people with the name)
;Mononym
* Cam'ron (born 197 ...
'', in support of the argument that a tax on an individual's income is unconstitutional, even though the decision in Stratton did not rule either corporate or individual income tax unconstitutional.
References
External links
*{{caselaw source
, case = ''Stratton's Independence, Ltd. v. Howbert'', {{ussc, 231, 399, 1913, el=no
, courtlistener =https://www.courtlistener.com/opinion/98014/strattons-independence-ltd-v-howbert/
, findlaw = https://caselaw.findlaw.com/us-supreme-court/231/399.html
, googlescholar = https://scholar.google.com/scholar_case?case=11971357151204259952
, justia =https://supreme.justia.com/cases/federal/us/231/399/
, loc =http://cdn.loc.gov/service/ll/usrep/usrep231/usrep231399/usrep231399.pdf
, openjurist =https://openjurist.org/231/us/399
Corporate case law
United States Supreme Court cases of the White Court
United States Supreme Court cases
Corporate taxation in the United States
Income taxation
1913 in United States case law