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The Original Issue Discount Deduction In Bonds-For-Noncash Property Exchanges, Charles L. Almond
The Original Issue Discount Deduction In Bonds-For-Noncash Property Exchanges, Charles L. Almond
Vanderbilt Law Review
The first codification of the United States Internal Revenue laws gave a corporation a deduction from income of "[a]ll interest paid or accrued within the taxable year on its indebtedness. ...This same language is presently in force in the Internal Revenue Code of 1954. The statutory language authorizing the interest deduction has never dealt explicitly with the deductibility of discount arising upon a corporation's original issuance of bonds. Treasury Regulations promulgated pursuant to the interest deduction sections, however, have recognized continually that the statutory language embodies a deduction for original issue discount. 'The latest pre-1969 regulation, which limits itself to …