Summary
The Tax Court determined that money received by the decedent, labeled as loans, was, in fact, dividends from her personal holding company. In reaching this decision the court listed a twelve-question analysis. The court also determined that the business ...
Estate of Jewell E. Gray v. CIR
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See Also
Two Discounts and a Related Party Transfer
The Tax Court determined that money by the decedent received, labeled as loans, was, in fact, dividends from her personal holding company.