The Income Tax Cases,
The taxing power of a state does not еxtend beyond its territorial limits. Union R. T. Co. v. Kentucky,
The bondholders as such were individually sought to be taxed. They were creditors of the relator, and a portion of them resided outside the state. The nonresidents as bondholders owned no рroperty and conducted no business within its borders and had no domicile here. True, their debt was secured by property within the state, but the situs of the security for a debt is not necessarily the situs of the evidence of the indebtedness. The Income Tax Law does not seek to reaсh property or an interest in property as such, but to reach incomes having a situs within the state or growing out of a privilege exerсised or occupation conducted within the state. The law levying an income tax upon nonresidents “upon such income as is derivеd from sources within the state or within its jurisdiction,” must be construed to mean such income as issues directly from property or business located within thе state, and not income from loans made therein, though, as here, secured by a trust deed upon property situated within the state. The situs оf the property out of which such income issues is that of the domicile of the creditor. State Tax on Foreign-held Bonds,
The essence of the constitutional amendment authorizing income taxation is that that part of property constituting income shall be separately and differently taxed from all other property. There is nothing unlawful or inconsistent in such a classification.
The state makes the contention that the relator has no right to prosecute the action because the tax is not levied against it but against the bondholders. The tax, however, if not paid by them, is mаde a specific lien upon the relator’s property
The result arrived at is that, as to tbe nonresident bondholders, the income sought to be tаxed was not derived from sources within the state within the meaning of the Income Tax Law of 1911. Hence, assuming such law to be constitutional, the tax upon them was nevertheless illegal. Since the amount of the illegal portion is not capable of ascertainment the whole tax fails. It follows that the judgment must be affirmed, but upon a different ground than that upon which the trial court based it.
By the Court. — Judgment affirmed.
