Summary
The Tax Court valued a 51percent interest in an ice cream distributor. The shareholders disagreed and split the company. The majority shareholder transferred his shares in exchange for a subsidiary which held the super premium ice cream distribution bus ...
Martin Ice Cream Company v. CIR
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See Also
Sale of Subsidiary After Split-Off Does Not Establish Value of That Subsidiary
The Tax Court valued a 51% interest in an ice cream distributor.