278 U.S. 470 (1929), Supreme Court of the United States
Taft v. Bowers is a foundational federal income tax case that validates Congress's authority to require a donee of appreciated property to take the donor's basis and to recognize gain that accrued before the gift when the donee later sells.
May Congress constitutionally require a donee to use the donor's basis for computing gain on the sale of gifted property—thereby taxing the donee on appreciation that accrued prior to the gift—consistently with the Sixteenth Amendment and the Fifth Amendment's Due Process Clause?
Under the Revenue Act of 1921 (including § 202(a)(2)), when property is acquired by gift after December 31, 1920, the donee's basis for determining gain upon a subsequent sale is the same as in the donor's hands (carryover basis). Congress may constitutionally tax the donee on the entire gain realized upon sale, measured from the donor's basis, including pre-gift appreciation, without violating the Fifth Amendment or exceeding the Sixteenth Amendment's authorization to tax incomes.
Yes. The Court upheld the statute and the Commissioner's computation: the donee is taxable on the full gain measured from the donor's basis, including appreciation occurring before the gift.
Taft v. Bowers entrenches the carryover basis rule for inter vivos gifts and validates its constitutional underpinnings. The decision remains central to modern tax practice, now codified in IRC § 1015, and it underscores how basis rules combat tax avoidance by preventing donors from cleansing accrued gains through gratuitous transfers. For students, the case is a touchstone for understanding realization, basis, anti-abuse policy, and the scope of Congress's taxing power under the Sixteenth Amendment.