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Uninsured Casualty Losses Are Within The Scope Of I.R.C. Section 1231--E. Taylor Chewning, Michigan Law Review
Uninsured Casualty Losses Are Within The Scope Of I.R.C. Section 1231--E. Taylor Chewning, Michigan Law Review
Michigan Law Review
Petitioners reported profits from the sale of breeding cattle as a long-term capital gain under section 1231 of the Internal Revenue Code. In the same return, petitioners deducted from ordinary income, under section 165(c)(3), losses sustained from the destruction of their uninsured residential shrubbery. The Commissioner disallowed the casualty-loss deduction from ordinary income, ruling that the loss was subject to the netting provisions of section 1231 and that, since the sale profits exceeded the casualty losses, the loss was to be characterized as a capital loss to be offset against the capital gain. Contrary to previous federal court decisions, the …