Summary
The issue in this estate tax matter was the fair market value of all 20,000 outstanding shares of Harlee International Inc ., a family-owned S corporation that was an importer and wholesale-distributor of futon and waterbed frames.
See Also
Estate of Leichter v. Commissioner
The issue in this estate tax matter was the fair market value of all 20,000 outstanding shares of Harlee International, Inc., a family-owned S corporation.