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| Preface | p. v |
| Table of Internal Revenue Code Sections | p. xxix |
| Table of Treasury Regulations | p. lxxi |
| Table of Internal Revenue Rulings | p. lxxix |
| Table of Miscellaneous Rulings | p. lxxxi |
| Table of Cases | p. lxxxiii |
| Table of Authorities | p. xcv |
| Introduction | p. 1 |
| Orientation | p. 2 |
| A Look Forward | p. 2 |
| A Glimpse Backward | p. 5 |
| The Income Tax and the United States Constitution | p. 10 |
| The Tax Practitioner's Tools | p. 17 |
| Tax Policy Considerations | p. 29 |
| The Road Ahead | p. 41 |
| Identification of Income Subject to Taxation | p. 45 |
| Gross Income: The Scope of Section 61 | p. 46 |
| Introduction to Income | p. 46 |
| Equivocal Receipt of Financial Benefit | p. 47 |
| Cesarini v. United States | p. 47 |
| Old Colony Trust Co. v. Commissioner | p. 52 |
| Commissioner v. Glenshaw Glass Co. | p. 54 |
| Charley v. Commissioner | p. 58 |
| Income Without Receipt of Cash or Property | p. 64 |
| Helvering v. Independent Life Ins. Co. | p. 64 |
| Revenue Ruling 79-24 | p. 64 |
| Dean v. Commissioner | p. 65 |
| The Exclusion of Gifts and Inheritances | p. 67 |
| Rules of Inclusion and Exclusion | p. 67 |
| Gifts | p. 68 |
| The Income Tax Meaning of Gift | p. 68 |
| Commissioner v. Duberstein | p. 69 |
| Employee Gifts | p. 78 |
| Bequests, Devises, and Inheritances | p. 80 |
| Lyeth v. Hoey | p. 80 |
| Wolder v. Commissioner | p. 85 |
| Employee Benefits | p. 89 |
| Exclusions for Fringe Benefits | p. 89 |
| Exclusions for Meals and Lodging | p. 99 |
| Herbert G. Hatt | p. 100 |
| Awards | p. 105 |
| Prizes | p. 105 |
| Allen J. McDonell | p. 107 |
| Scholarships and Fellowships | p. 111 |
| Gain From Dealings in Property | p. 115 |
| Factors in the Determination of Gain | p. 115 |
| Determination of Basis | p. 116 |
| Cost as Basis | p. 116 |
| Philadelphia Park Amusement Co. v. United States | p. 116 |
| Property Acquired by Gift | p. 120 |
| Taft v. Bowers | p. 120 |
| Farid-Es-Sultaneh v. Commissioner | p. 122 |
| Property Acquired Between Spouses or Incident to Divorce | p. 127 |
| Property Acquired From a Decedent | p. 129 |
| The Amount Realized | p. 132 |
| International Freighting Corporation, Inc. v. Commissioner | p. 132 |
| Crane v. Commissioner | p. 135 |
| Commissioner v. Tufts | p. 143 |
| Life Insurance Proceeds and Annuities | p. 153 |
| Life Insurance Proceeds | p. 153 |
| Annuity Payments | p. 157 |
| Discharge of Indebtedness | p. 163 |
| United States v. Kirby Lumber Co. | p. 163 |
| Zarin v. Commissioner | p. 164 |
| Revenue Ruling 2008-34 | p. 178 |
| Damages and Related Receipts | p. 183 |
| Introduction | p. 183 |
| Damages In General | p. 184 |
| Raytheon Production Corporation v. Commissioner | p. 184 |
| Damages and Other Recoveries for Personal Injuries | p. 187 |
| Revenue Ruling 79-313 | p. 193 |
| Separation and Divorce | p. 196 |
| Alimony and Separate Maintenance Payments | p. 196 |
| Direct Payments | p. 196 |
| Indirect Payments | p. 206 |
| I.T. 4001 | p. 206 |
| Property Settlements | p. 209 |
| Young v. Commissioner | p. 213 |
| Other Tax Aspects of Divorce | p. 218 |
| Child Support | p. 218 |
| Alimony Payments Made by a Third Party | p. 220 |
| Divorce | p. 223 |
| Other Exclusions From Gross Income | p. 227 |
| Gain From the Sale of a Principal Residence | p. 227 |
| Excerpts from Senate Report No. 105-33 (pages 35-37), and Conference Report No. 105-220 (page 387), 105th Cong., 1st Sess. (1997) | p. 228 |
| Income Earned Abroad | p. 234 |
| Exclusions and Other Tax Benefits Related to the Costs of Higher Education | p. 235 |
| Federal Taxes and State Activities | p. 243 |
| Identification of the Proper Taxpayer | p. 249 |
| Assignment of Income | p. 250 |
| Introduction | p. 250 |
| Income From Services | p. 252 |
| Lucas v. Earl | p. 252 |
| Commissioner v. Giannini | p. 253 |
| Revenue Ruling 66-167 | p. 258 |
| Revenue Ruling 74-581 | p. 260 |
| Income From Property | p. 263 |
| Helvering v. Horst | p. 263 |
| Blair v. Commissioner | p. 267 |
| Estate of Stranahan v. Commissioner | p. 269 |
| Susie Salvatore | p. 272 |
| Revenue Ruling 69-102 | p. 276 |
| Income Producing Entities | p. 284 |
| Introduction | p. 284 |
| Trusts and Estates | p. 290 |
| Corliss v. Bowers | p. 290 |
| Helvering v. Clifford | p. 291 |
| Partnerships | p. 300 |
| Commissioner v. Culbertson | p. 300 |
| Corporations | p. 307 |
| Overton v. Commissioner | p. 307 |
| Johnson v. Commissioner | p. 309 |
| Borge v. Commissioner | p. 312 |
| Deductions in Computing Taxable Income | p. 317 |
| Business Deductions | p. 318 |
| Introduction | p. 318 |
| The Anatomy of the Business Deduction Workhorse: Section 162 | p. 320 |
| "Ordinary and Necessary" | p. 320 |
| Welch v. Helvering | p. 320 |
| "Expenses" | p. 323 |
| Midland Empire Packing Co. v. Commissioner | p. 325 |
| INDOPCO, Inc. v. Commissioner | p. 332 |
| "Carrying On" Business | p. 341 |
| Morton Frank v. Commissioner | p. 341 |
| Specific Business Deduction | p. 349 |
| "Reasonable" Salaries | p. 349 |
| Exacto Spring Corporation v. Commissioner | p. 349 |
| Harolds Club v. Commissioner | p. 356 |
| Travel "Away From Home" | p. 363 |
| Rosenspan v. United States | p. 363 |
| Andrews v. Commissioner | p. 371 |
| Revenue Ruling 99-7 | p. 377 |
| Necessary Rental and Similar Payments | p. 382 |
| Starr's Estate v. Commissioner | p. 382 |
| Expenses for Education | p. 387 |
| Hill v. Commissioner | p. 388 |
| Coughlin v. Commissioner | p. 392 |
| Miscellaneous Business Deductions | p. 395 |
| Introduction | p. 395 |
| Business Losses | p. 403 |
| Depreciation | p. 406 |
| Introduction | p. 406 |
| Sharp v. United States | p. 418 |
| Simon v. Commissioner | p. 423 |
| Special Depreciation Rules on Personal Property | p. 431 |
| Special Rules on Realty | p. 442 |
| Deductions for Profit-Making, Nonbusiness Activities | p. 447 |
| Section 212 Expenses | p. 447 |
| Higgins v. Commissioner | p. 447 |
| Bowers v. Lumpkin | p. 451 |
| Surasky v. United States | p. 454 |
| Revenue Ruling 64-236 | p. 459 |
| Meyer J. Fleischman v. Commissioner | p. 459 |
| Charges Arising Out of Transactions Entered Into for Profit | p. 468 |
| William C. Horrmann v. Commissioner | p. 468 |
| Lowry v. United States | p. 471 |
| Deductions Not Limited to Business or Profit-Seeking Activities | p. 479 |
| Introduction | p. 479 |
| Tax Subsidies as a Device for Implementing Government Policy: A Comparison With Direct Government Expenditures | p. 480 |
| Interest | p. 481 |
| Revenue Ruling 69-188 | p. 482 |
| J. Simpson Dean v. Commissioner | p. 484 |
| Taxes | p. 508 |
| Cramer v. Commissioner | p. 508 |
| Bad Debts, Charitable Contributions and Casualty and Theft Losses | p. 512 |
| Restrictions on Deductions | p. 513 |
| Introduction | p. 513 |
| Deductions Limited to Amount at Risk | p. 517 |
| Activities Not Engaged in for Profit | p. 520 |
| Restrictions on Deductions of Homes | p. 522 |
| Passive Activity Limitations | p. 528 |
| Illegality or Impropriety | p. 542 |
| Commissioner v. Tellier | p. 544 |
| Deductions for Individuals Only | p. 548 |
| The Concept of Adjusted Gross Income | p. 548 |
| Excerpt From Senate Finance Committee Report No. 885 | p. 548 |
| Moving Expenses | p. 551 |
| Extraordinary Medical Expenses | p. 556 |
| Raymon Gerard v. Commissioner | p. 556 |
| Revenue Ruling 2002-19 | p. 558 |
| Qualified Tuition and Related Expenses | p. 567 |
| Personal and Dependency Exemptions | p. 569 |
| The Standard Deduction | p. 574 |
| Commissioner v. Banks | p. 577 |
| The Year of Inclusion or Deduction | p. 587 |
| Fundamental Timing Principles | p. 588 |
| Introduction | p. 588 |
| The Cash Receipts and Disbursements Method | p. 592 |
| Receipts | p. 592 |
| Charles F. Kahler v. Commissioner | p. 593 |
| Williams v. Commissioner | p. 594 |
| Cowden v. Commissioner | p. 596 |
| Hornung v. Commissioner | p. 601 |
| Disbursements | p. 605 |
| Commissioner v. Boylston Market Ass'n | p. 605 |
| Cathcart v. Commissioner | p. 609 |
| Revenue Ruling 87-22 | p. 610 |
| Revenue Ruling 54-465 | p. 613 |
| Vander Poel, Francis & Co., Inc. v. Commissioner | p. 613 |
| The Accrual Method | p. 618 |
| Income Items | p. 618 |
| Spring City Foundry Co. v. Commissioner | p. 619 |
| Revenue Ruling 70-151 | p. 620 |
| North American Oil Consolidated v. Burnet | p. 620 |
| New Capital Hotel, Inc. v. Commissioner | p. 623 |
| Artnell Co. v. Commissioner | p. 625 |
| Deduction Items | p. 636 |
| Revenue Ruling 57-463 | p. 637 |
| Schuessler v. Commissioner | p. 637 |
| Revenue Ruling 2007-3 | p. 645 |
| Forced Matching of Methods | p. 650 |
| How Ineluctable is the Integrity of the Taxable Year? | p. 654 |
| Taxpayer's Restoration of Previously Taxed Income | p. 654 |
| United States v. Lewis | p. 654 |
| Van Cleave v. United States | p. 658 |
| The Tax Benefit Doctrine | p. 663 |
| Alice Phelan Sullivan Corp. v. United States | p. 663 |
| Income Averaging | p. 666 |
| Statutory Averaging | p. 666 |
| Do-It-Yourself Averaging | p. 667 |
| Revenue Ruling 60-31 | p. 667 |
| Statutory Deferred Compensation and Medical Insurance Arrangements | p. 675 |
| The Carryover and Carryback Devices | p. 679 |
| The Characterization of Income and Deductions | p. 683 |
| Capital Gains and Losses | p. 684 |
| Introduction | p. 684 |
| The Mechanics of Capital Gains | p. 689 |
| The Mechanics of Capital Losses | p. 697 |
| The Meaning of "Capital Asset" | p. 702 |
| The Statutory Definition | p. 702 |
| Mauldin v. Commissioner | p. 702 |
| Malat v. Riddell | p. 705 |
| The Sale or Exchange Requirement | p. 710 |
| Kenan v. Commissioner | p. 710 |
| Hudson v. Commissioner | p. 714 |
| The Holding Period | p. 718 |
| Revenue Ruling 66-7 | p. 719 |
| Revenue Ruling 66-97 | p. 720 |
| Judicial Gloss on the Statute | p. 725 |
| "Income" Property | p. 725 |
| Hort v. Commissioner | p. 725 |
| Metropolitan Bldg. Co. v. Commissioner | p. 727 |
| Watkins v. Commissioner | p. 733 |
| Correlation With Prior Transactions | p. 737 |
| Arrowsmith v. Commissioner | p. 737 |
| United States v. Skelly Oil Co. | p. 741 |
| Statutorily Created Capital Gain and Loss Consequences | p. 746 |
| In General | p. 746 |
| Section 1231 Recharacterization | p. 751 |
| Stephen P. Wasnok v. Commissioner | p. 754 |
| Williams v. McGowan | p. 758 |
| Characterization on the Sale of Depreciable Property | p. 764 |
| Introduction | p. 764 |
| Characterization Under Section 1239 | p. 764 |
| United States v. Parker | p. 765 |
| Recapture Under Section 1245 | p. 770 |
| Revenue Ruling 69-487 | p. 775 |
| Recapture of Depreciation on the Sale of Depreciable Real Property | p. 776 |
| Deductions Affected by Characterization Principles | p. 780 |
| Bad Debts and Worthless Securities | p. 780 |
| Howard S. Bugbee v. Commissioner | p. 780 |
| Charles J. Haslam v. Commissioner | p. 789 |
| The Charitable Deduction | p. 794 |
| Revenue Ruling 83-104 | p. 794 |
| Revenue Ruling 67-246 | p. 799 |
| Casualty and Theft Losses | p. 817 |
| Nature of Losses Allowed | p. 817 |
| Revenue Ruling 63-232 | p. 818 |
| Pulvers v. Commissioner | p. 820 |
| Mary Frances Allen v. Commissioner | p. 821 |
| Other Aspects of Casualty and Theft Losses | p. 823 |
| Deferral and Nonrecognition of Income and Deductions | p. 829 |
| The Interrelationship of Timing and Characterization | p. 830 |
| Transactions Under Section 453 | p. 830 |
| The General Rule | p. 830 |
| Contingent Sales Price | p. 832 |
| Situations in Which Section 453 is Inapplicable | p. 835 |
| Special Rules Related to Section 453 | p. 837 |
| Transactions Outside of Section 453 | p. 848 |
| Open Transactions | p. 848 |
| Burnet v. Logan | p. 848 |
| Closed Transactions | p. 855 |
| The Original Issue Discount Rules and Other Unstated, Hidden, and Imputed Interest | p. 857 |
| Property Transferred in Connection with Services | p. 865 |
| Income in Respect of Decedents | p. 872 |
| Disallowance of Losses | p. 879 |
| Losses Between Related Taxpayers | p. 879 |
| McWilliams v. Commissioner | p. 879 |
| Wash Sales | p. 886 |
| Nonrecognition Provisions | p. 889 |
| Introduction | p. 889 |
| Like Kind Exchanges | p. 891 |
| The Like Kind Exchange Requirements | p. 891 |
| Bloomington Coca-Cola Bottling Co. v. Commissioner | p. 892 |
| Commissioner v. Crichton | p. 892 |
| Leslie Co. v. Commissioner | p. 895 |
| Three-Cornered Exchanges | p. 902 |
| Revenue Ruling 77-297 | p. 903 |
| Other Section 1031 Issues | p. 907 |
| Involuntary Conversions | p. 911 |
| Harry G. Masser v. Commissioner | p. 913 |
| Clifton Inv. Co. v. Commissioner | p. 914 |
| Revenue Ruling 76-319 | p. 917 |
| Revenue Ruling 67-254 | p. 918 |
| Revenue Ruling 71-41 | p. 919 |
| Other Nonrecognition Provisions | p. 922 |
| Converting Taxable Income Into Tax Liability | p. 927 |
| Computations | p. 928 |
| Tax Rates | p. 928 |
| Credits Against Tax | p. 941 |
| Introduction | p. 941 |
| Personal Credits | p. 943 |
| Credits for Prepaid Taxes | p. 948 |
| The Alternative Minimum Tax | p. 949 |
| Klaassen v. Commissioner | p. 957 |
| Federal Tax Procedure and Professional Responsibility | p. 963 |
| Procedure and Professional Responsibility | p. 964 |
| Overview of Federal Tax Procedure | p. 964 |
| Introduction | p. 964 |
| The Self-Assessment System | p. 965 |
| Administrative Procedures | p. 966 |
| Judicial Procedures | p. 973 |
| Collection of Taxes | p. 981 |
| Special Rules Applicable to Deficiency Procedures | p. 984 |
| Timing Rules, Interest and Penalties | p. 984 |
| The Innocent Spouse Rules | p. 988 |
| Special Rules Applicable to Refund Procedures | p. 991 |
| Professional Responsibility Issues | p. 995 |
| Index | p. 1001 |
| Table of Contents provided by Ingram. All Rights Reserved. |