Summary
The Tax Court rejected taxpayer's motion for summary judgment on gift tax liability resulting from a redemption of a majority interest in a corporation's stock. The transaction left the decedent's son as the sole shareholder of the corporation. The IRS d ...
Estate of Mary D. Maggos (Maggos I) v. CIR
PDF, Size: 28 KB
See Also
Independent Appraisal Needed to Overcome Presumption of Donative Intent
The Tax Court rejected taxpayer's motion for summary judgment on gift tax liability resulting from a redemption of a majority interest in a corporation's stock.