Taft v. HelveringTaft v. Helvering
delivered the opinion of the Court;
Petitioners, husband and wife, filed joint income-tax returns for the years 1934 and 1935. In computing their aggregate net income under § 51 (b) of the Revenue Act of 1934, 1 they made deductions of their combined charitable contributions. 2 The Commissioner ruled that the deductions on account of the wife’s charitable contributions should be reduced to 15 per cent of her separate net income and deficiences were determined accordingly. The Board of Tax Appeals sustained the Commissioner (40 B. T. A. 229) and the. Circuit Court of Appeals affirmed. Ill F. 2d 145. ’
Because the question is cognate to that presented in the cases of Helvering v. Janney, ante, p. 189, and Gaines v. Helvering, ante, p. 189, we granted certiorari. October 14, 1940.
The provision for joint returns in § 51 (b) of the Revenue Act of 1934 was in. substantially the same form as the
Respondent places, emphasis on the phrasing of Article 401 of Regulations 62 under the Act of 1921, that “in a single joint return, the tax is computed on the aggregate income and all deductions and credits to which either is entitled shall be .taken from such aggregate income.” The argument stresses the words “to which either is entitled” and it is urged that each spouse is entitled only
, In 1935, by Article 23"(o.)-l of Treasury Regulations 86/ the Department sought to require ‘ a husband and wife, whether they make “a joint return or separate returns,” to base their deduction for charitable contributions on the separate net income of-the. sppuse making them. We are of. the opinion that under the Revenue Act of 1934, taken with the meaning we think it had when enacted, petitioners were entitled to the combined deductions, they claimed; and that the departmental regu-
The judgment of the Circuit Court of Appeals is
Reversed.
Notes
48 Stat. 697.
§ 23 (o), 48 Stat. 690.
Sol. Op. 90, Cum. Bull. No. 4, p. 236 (1921). See Helvering v. Janney, ante, p. 189.
House Rep. No. 350, 67th Cong., 1st Sess.; Sen. Rep. No. 275, 67th Cong., 1st Sess.
Treasury Regulations Nos. 65 and 69, Art. 401; Regulations Nos. 74 and 77, Art. 381.