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Cancellation-Of-Indebtedness Income And Transactional Accounting, Lawrence A. Zelenak
Cancellation-Of-Indebtedness Income And Transactional Accounting, Lawrence A. Zelenak
Faculty Scholarship
More than three-quarters of a century after the Supreme Court’s decision in United States v. Kirby Lumber established that the cancellation of a debt produces taxable income, there is still uncertainty - both in the courts and among commentators - concerning the rationale for the taxation of cancellation-of-debt (COD) income. Is the taxation of COD income based on the simple fact that the cancellation of a debt improves the taxpayer’s balance sheet, thus increasing the taxpayer’s net worth in the year of cancellation? Or is it based on a multi-year perspective, in which inclusion of the cancelled debt in income …