The question presented by this appeal arises as follows: In 1914 the taxpayer, which keeps its books on an accrual basis', bought all the assets of another company, and assumed its debts. These included an issue of bonds which provided for an annual amortization by purchase in the market. In the years 1924 and 1925>, the taxpayer, in accordance with its obligation bought a number'of these bonds at less than their face and so retired them. The Commissioner charged it, as present income, with the difference between the face of these bonds and the amount at which they were bought. The taxpayer appealed, the Board expunged this part of the deficiency, and the Commissioner in turn appealed to this court.
The question depends for its answer upon the scope of the decision of the Supreme Court in United States v. Kirby Lumber Co.,
We can see no difference between bonds retired in the same 'year and later; nor between those issued in payment for property, and an existing mortgage assumed by the buyer when the property is transferred. But the distinction does seem to us critical between obligations whose consideration is money, and those issued or assumed for property which the obligor still holds. Every increase in the value of property might indeed be treated as a “gain," though that would involve appraising taxpayers' property each year; but such is not the notion.
Order affirmed.
