Tenn. Code Ann. § 67-2-104

Exemptions

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Amended by 2017 Tenn. Acts, ch. 453, s 1, eff. 5/25/2017.

Amended by 2015 Tenn. Acts, ch. 434, s 1, eff. 5/18/2015.

Amended by 2013 Tenn. Acts, ch. 322, s 1, eff. 5/13/2013.

Acts 1931 (2nd Ex. Sess.), ch. 20, §§ 4, 5, 16; 1933, ch. 60, § 2; 1937, ch. 117, § 2; 1949, ch. 221, § 1; mod. C. Supp. 1950, §§ 1123.1, 1123.4, 1123.5, 1123.32; Acts 1953, ch. 199, § 1 (Williams, § 1123.5); 1953, ch. 238, § 1; 1955, ch. 135, § 4; impl. am. Acts 1959, ch. 9, § 14; Acts 1963, ch. 167, § 1; 1963, ch. 271, §3; 1963, ch. 273, § 1; 1968, ch. 431, § 8; 1972, ch. 484, § 1; 1976, ch. 638, §1; 1977, ch. 140, § 8; 1977, ch. 347, § 1; 1978, ch. 849, § 1; modified; T.C.A. (orig. ed.), §§ 67-2605 -- 67-2607, 67-2609 -- 67-2612, 67-2635; Acts 1985, ch. 395, §§ 3, 5; 1987, ch. 378, § 1; 1988, ch. 1008, §§ 1, 2; 1989, ch. 222, §6; 1989, ch. 524, § 2; 1989, ch. 560, § 18; 1992, ch. 931, §§ 1, 2; 1995, ch. 535, § 1; 1998, ch. 1013, § 1; 1998, ch. 1032, § 1; 1999, ch. 236, § 1; 2006, ch. 1019, §21; 2008 , ch. 1106, §39; 2011 , ch. 396, §1; 2011 , ch. 490, §§2, 3; 2012 , ch. 667, § 1.


Notes of Decisions
Cited in 5 cases, 1993–2014 · leading case: Department of Revenue of Kentucky v. Davis
Department of Revenue of Kentucky v. Davis (2008) scotus · cites it 2× “§ 12-6-1120(1) (2000); Tenn. Code Ann. § 67-2-104 (e)(1) (2006); Vt.”
Dobson v. Huddleston (1993) tenn · cites it 12× “The exception is found in T.C.A. § 67-2-104(k) (Supp.1992), the relevant portion of which provides as follows: No distribution of capital shall be taxed as income under this chapter, and no distribution of surplus by way of stock dividend shall be taxable in the year such…”
In re Vandeberg (2001) tneb · cites it 2× “The court acknowledges that the Tennessee legislature was aware of Roth IRAs prior to the Debtor’s bankruptcy filing and seemingly could have amended § 26-2-105 sooner than it did.”
William E. Cherry v. Reagan Farr, Commissioner of The Department of Revenue For the State of Tennessee (2014) tennctapp · cites it 7× “]” Tenn. Code Ann. § 67-2-104 (e)(7) (2011).”
W. Turner Boone v. Loren L. Chumley, Commissioner of The Tennessee Department of Revenue (2011) tennctapp · cites it 4× “The total amount of Tennessee Hall income tax due, after claiming the $2,500 exemption allowed pursuant to Tenn. Code Ann. § 67-2-104 (a), was $12,228.”
— Tenn. Code Ann. § 67-2-104(e)(7) — 1 case
William E. Cherry v. Reagan Farr, Commissioner of The Department of Revenue For the State of Tennessee (2014) tennctapp “]” Tenn. Code Ann. § 67-2-104 (e)(7) (2011).”
— Tenn. Code Ann. § 67-2-104(k) — 1 case
Dobson v. Huddleston (1993) tenn “The exception is found in T.C.A. § 67-2-104(k) (Supp.1992), the relevant portion of which provides as follows: No distribution of capital shall be taxed as income under this chapter, and no distribution of surplus by way of stock dividend shall be taxable in the year such…”
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