Federal Public Defender for the District of Columbia

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Supreme Court of the United States

 

Boulware v. US, No. 06-1509
In the context of sections of the Internal Revenue Code that set the conditions for treating certain corporate distributions as returns of capital, nontaxable to the recipient, a distributee accused of criminal tax evasion may claim return-of-capital treatment without producing evidence that either he or the corporation intended a return of capital when the distribution occurred.