Home      Login


Coltec Industries, Inc. v. U.S.: Changes Might Have Added Economic Substance  


Author:  Nestor Enrique Cruz.


Source: Volume 24, Number 01, Fall 2006 , pp.12-17(6)




Journal of Taxation of Investments

< previous article |next article > |return to table of contents

Abstract: 

The “economic substance doctrine” is a judicially created revenue rule of construction which allows a court to disregard for tax purposes transactions that fall within the literal terms of the Internal Revenue Code but lack economic substance or reality. The doctrine has the approval of the U.S. Supreme Court as well as federal appellate courts. Sometimes the doctrine is framed as one requiring a transaction to have a business purpose other than tax avoidance. The purpose of the doctrine is to prevent taxpayers from avoiding the intent of revenue legislation by complying with its literal terms by the utilization of fictitious transactions.

Keywords: 

Affiliations:  1: Carr, Morris & Graeff, P.C..

Subscribers click here to open full text in PDF.
Non-subscribers click here to purchase this article. $20

< previous article |next article > |return to table of contents