Brushaber v. Union Pacific Railroad Co.

E349807

Brushaber v. Union Pacific Railroad Co. is a 1916 U.S. Supreme Court case that upheld the federal income tax and clarified the scope and constitutionality of the Sixteenth Amendment.

All labels observed (2)

How this entity was disambiguated

Statements (47)

Predicate Object
instanceOf United States Supreme Court case ⓘ
federal income tax case ⓘ
areaOfLaw federal constitutional tax law ⓘ
citation 240 U.S. 1 ⓘ
36 S. Ct. 236 ⓘ
60 L. Ed. 493 ⓘ
country United States ⓘ
court Supreme Court of the United States ⓘ
decisionDate 1916-01-24 ⓘ
defendant Union Pacific Railroad Company ⓘ
dissentingJustices none ⓘ
distinguishedFrom Pollock v. Farmers’ Loan & Trust Co. ⓘ
fullName Frank R. Brushaber v. Union Pacific Railroad Company ⓘ
holding The Supreme Court held that the Sixteenth Amendment authorizes a non-apportioned direct income tax. ⓘ
The Supreme Court held that the Sixteenth Amendment removed the requirement of apportionment for taxes on incomes from whatever source derived. ⓘ
The Supreme Court held that the income tax under the Sixteenth Amendment is not required to be apportioned among the states according to population. ⓘ
The Supreme Court rejected the argument that the income tax violated the Fifth Amendment Due Process Clause. ⓘ
The Supreme Court rejected the argument that the income tax was a taking of property without due process of law. ⓘ
The Supreme Court upheld the constitutionality of the federal income tax imposed by the Revenue Act of 1913. ⓘ
linked to: Revenue Act of 1913
issue whether the Sixteenth Amendment changed the classification of income taxes as direct or indirect taxes ⓘ
whether the federal income tax under the Revenue Act of 1913 violated constitutional requirements of apportionment ⓘ
whether the income tax violated the Fifth Amendment Due Process Clause ⓘ
jurisdiction federal ⓘ
languageOfProceedings English ⓘ
legalEffect clarified the scope of the Sixteenth Amendment ⓘ
confirmed the federal government’s power to levy an income tax without apportionment among the states ⓘ
limited challenges to the federal income tax based on direct tax and apportionment arguments ⓘ
legalSubject Sixteenth Amendment to the United States Constitution ⓘ
federal income tax ⓘ
taxing and spending power of the United States ⓘ
majorityOpinionBy Charles Evans Hughes ⓘ
partyType individual taxpayer vs. corporation ⓘ
plaintiff Frank R. Brushaber ⓘ
precededBy Pollock v. Farmers’ Loan & Trust Co. ⓘ
recognizedPrinciple Congress may tax incomes from property without apportionment under the Sixteenth Amendment ⓘ
the Sixteenth Amendment did not confer a new power of taxation but removed the apportionment requirement for income taxes ⓘ
relatedConstitutionalProvision Article I, Section 2 of the United States Constitution ⓘ
Article I, Section 9 of the United States Constitution ⓘ
Fifth Amendment to the United States Constitution ⓘ
Sixteenth Amendment to the United States Constitution ⓘ
relatedLegislation Revenue Act of 1913 ⓘ
result judgment for Union Pacific Railroad Company ⓘ
subsequentCitation cited as precedent in later income tax and Sixteenth Amendment cases ⓘ
topic United States constitutional law ⓘ
tax law ⓘ
vote 8–0 ⓘ
yearDecided 1916 ⓘ

How these facts were elicited

Referenced by (3)

Full triples — surface form annotated when it differs from this entity's canonical label.

Sixteenth Amendment to the United States Constitution → relatedCourtCase → Brushaber v. Union Pacific Railroad Co. ⓘ
Direct Tax Clause of the United States Constitution → interpretedInCase → Brushaber v. Union Pacific Railroad Co. ⓘ
Brushaber v. Union Pacific Railroad Co. → fullName → Frank R. Brushaber v. Union Pacific Railroad Company ⓘ
linked to: Brushaber v. Union Pacific Railroad Co.