Go Back   Suijuris Forums > Educational & Learning > Taxation
User Name
Password

Reply
 
Thread Tools Display Modes
  #1  
Old 08-22-2006, 07:40 AM
Shoonra Shoonra is online now
Come and Get Some!
 
Join Date: Oct 2005
Location: Maryland
Posts: 2,615
Court decides against IRS on taxing personal inj. comp.

The DC Circuit today decided against the IRS and held that a provision of the IRC permitting the taxation of personal injury compensation was unconstitutional. As the money had been intended to compensate the recipient, it did not have the effect of actually adding to his assets and therefore did not count as taxable income. The court emphasized that not every payment received by a taxpayer is taxable income.
http://pacer.cadc.uscourts.gov/docs/...8/05-5139a.pdf
Reply With Quote
  #2  
Old 08-23-2006, 01:52 AM
REDCLOUD's Avatar
REDCLOUD REDCLOUD is online now
Unplugged
 
Join Date: Jan 2006
Location: Gentle State of Mind
Posts: 176
Personal injusry awards are non taxable under 104-2. What is unique here is that the court held 104-2 to be unconstitutional in not allowing income from non physical injuries to be excluded.
__________________
The Great Spirit made us, and gave us this land we live in. No one bound us. We are free as the winds, and like the eagle, heard no man's commands. I was born free and I shall die free. I live right as I was taught it was right. I was taught that I could gain favor by being kind to people; brave before my enemies; tell the truth and live straight; fight for my people and their hunting grounds. With this you are happy and die satisfied. What more than this can there be?
Reply With Quote
  #3  
Old 08-23-2006, 12:47 PM
Libertarian Libertarian is offline
Unplugged
 
Join Date: Oct 2004
Posts: 198
Quote:
Originally Posted by Shoonra
The DC Circuit today decided against the IRS and held that a provision of the IRC permitting the taxation of personal injury compensation was unconstitutional. As the money had been intended to compensate the recipient, it did not have the effect of actually adding to his assets and therefore did not count as taxable income. The court emphasized that not every payment received by a taxpayer is taxable income.
http://pacer.cadc.uscourts.gov/docs/...8/05-5139a.pdf

Interesting case, Shoonra. Thanks for posting it.
Reply With Quote
  #4  
Old 09-01-2006, 11:42 AM
freeindeed freeindeed is offline
Practice Makes Perfect
 
Join Date: Feb 2006
Posts: 457
Quote:
Originally Posted by Shoonra
The DC Circuit today decided against the IRS and held that a provision of the IRC permitting the taxation of personal injury compensation was unconstitutional. As the money had been intended to compensate the recipient, it did not have the effect of actually adding to his assets and therefore did not count as taxable income. The court emphasized that not every payment received by a taxpayer is taxable income.
http://pacer.cadc.uscourts.gov/docs/...8/05-5139a.pdf

Could this be more evidence change is in the works? Could it be as a result of the PRA? Just food for thought. Take alook at this article here. I like what this author implies about the ruling in the appelate court.

Last edited by freeindeed : 09-01-2006 at 11:50 AM.
Reply With Quote
Reply


Thread Tools
Display Modes

Posting Rules
You may not post new threads
You may not post replies
You may not post attachments
You may not edit your posts

vB code is On
Smilies are On
[IMG] code is On
HTML code is Off
Forum Jump

Similar Threads
Thread Thread Starter Forum Replies Last Post
Ed Rivera's "brief" on Article III David Merrill Articles & News 44 11-26-2007 07:02 AM
Court Procedure mrg Articles & News 10 06-18-2007 11:57 PM
Ancient and Just Liberties mrg Articles & News 2 01-21-2007 07:03 AM
Need help with seat belt ticket in california redeemed2 Travel 19 11-05-2006 12:42 PM
Debt Attorney/Collection Agency gregtu Court 2 09-21-2004 09:13 AM


All times are GMT -7. The time now is 01:45 PM.
Powered by vBulletin Version 3.5.1
Copyright ©2000 - 2008, Jelsoft Enterprises Ltd.
Content Relevant URLs by vBSEO 2.4.0
2003-2007 Copyright by Law Research Group, LLC Terms of Use | Sitemap | Privacy Policy | Notice/Disclaimer