An Entity of Type: unit of work, from Named Graph: http://dbpedia.org, within Data Space: dbpedia.org

Commissioner v. Sunnen, 333 U.S. 591 (1948), was a case decided by the Supreme Court of the United States in 1948 in which the Court outlined the scope of collateral estoppel or in determinations of federal tax liability. This was important because a single controversial circumstance may have a bearing on income tax liability for several years. Res judicata, as part of the doctrine of , protects a taxpayer's tax liability for a given year once the taxpayer wins a judgment in court. The judgment is controlling not only controlling with regard to the issues litigated but also with any issues that could have been raised if they would have affected the determination of tax liability for the year. However, of course, a single controversial circumstance may have a bearing on income tax liabilit

Property Value
dbo:abstract
  • Commissioner v. Sunnen, 333 U.S. 591 (1948), was a case decided by the Supreme Court of the United States in 1948 in which the Court outlined the scope of collateral estoppel or in determinations of federal tax liability. This was important because a single controversial circumstance may have a bearing on income tax liability for several years. Res judicata, as part of the doctrine of , protects a taxpayer's tax liability for a given year once the taxpayer wins a judgment in court. The judgment is controlling not only controlling with regard to the issues litigated but also with any issues that could have been raised if they would have affected the determination of tax liability for the year. However, of course, a single controversial circumstance may have a bearing on income tax liability for several years, and if a judgment fixes liability for one of the years, res judiciary forecloses the reopening of only that year's liability. But the related doctrine of collateral estoppel prevents relitigation of issues that were in fact raised and decided in the earlier litigation, even when they arise in a new cause of action, such as a dispute as to liability for a later year. However, the Supreme Court said that collateral estoppel in determinations of tax liability "must be confined to situations where the matter raised in the second suit is identical in all respects with that decided in the first proceeding and where the controlling facts and applicable legal rules remain unchanged." (en)
dbo:wikiPageExternalLink
dbo:wikiPageID
  • 26214255 (xsd:integer)
dbo:wikiPageLength
  • 3220 (xsd:nonNegativeInteger)
dbo:wikiPageRevisionID
  • 895896394 (xsd:integer)
dbo:wikiPageWikiLink
dbp:arguedate
  • 0001-12-17 (xsd:gMonthDay)
dbp:argueyear
  • 1947 (xsd:integer)
dbp:case
  • Commissioner v. Sunnen, (en)
dbp:decidedate
  • 0001-04-05 (xsd:gMonthDay)
dbp:decideyear
  • 1948 (xsd:integer)
dbp:fullname
  • Commissioner of Internal Revenue v. Sunnen (en)
dbp:holding
  • The general rule of res judicata applies to tax proceedings involving the same claim and the same tax year, while the doctrine of collateral estoppel, which is a narrower version of the res judicata rule, applies to tax proceedings involving similar or unlike claims and different tax years. (en)
dbp:joinmajority
  • unanimous (en)
dbp:justia
dbp:litigants
  • Commissioner v. Sunnen (en)
dbp:loc
dbp:majority
  • Murphy (en)
dbp:parallelcitations
  • 68 (xsd:integer)
dbp:prior
  • 17280.0
dbp:uspage
  • 591 (xsd:integer)
dbp:usvol
  • 333 (xsd:integer)
dbp:wikiPageUsesTemplate
dcterms:subject
rdf:type
rdfs:comment
  • Commissioner v. Sunnen, 333 U.S. 591 (1948), was a case decided by the Supreme Court of the United States in 1948 in which the Court outlined the scope of collateral estoppel or in determinations of federal tax liability. This was important because a single controversial circumstance may have a bearing on income tax liability for several years. Res judicata, as part of the doctrine of , protects a taxpayer's tax liability for a given year once the taxpayer wins a judgment in court. The judgment is controlling not only controlling with regard to the issues litigated but also with any issues that could have been raised if they would have affected the determination of tax liability for the year. However, of course, a single controversial circumstance may have a bearing on income tax liabilit (en)
rdfs:label
  • Commissioner v. Sunnen (en)
owl:sameAs
prov:wasDerivedFrom
foaf:isPrimaryTopicOf
foaf:name
  • (en)
  • Commissioner of Internal Revenue v. Sunnen (en)
is dbo:wikiPageRedirects of
is dbo:wikiPageWikiLink of
is foaf:primaryTopic of
Powered by OpenLink Virtuoso    This material is Open Knowledge     W3C Semantic Web Technology     This material is Open Knowledge    Valid XHTML + RDFa
This content was extracted from Wikipedia and is licensed under the Creative Commons Attribution-ShareAlike 3.0 Unported License