Illinois Rural Credit Ass'n v. Commissioner

1926 BTA LEXIS 2466 | B.T.A. | 1926

Lead Opinion

*1180OPINION.

■ GRAupneR:

The issue in this appeal is whether the sum of $42,-950, or any part of it, which was paid by subscribers on account of their subscriptions to capital stock of the taxpayer, was income to the taxpayer.

The payments on account of the stock subscriptions, at the time they were made, were undoubtedly capital payments, being made to provide capital for the corporation, and were in its hands capital receipts as distinguished from income. The fact that payments were made in installments and stock was never issued for such payments, because they were not made to the full amount of the subscriptions, does not alter their character.

There is no deficiency and it will be so ordered.

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