Expand the following panels for additional search options.

Lappo v. Commissioner

The issue for decision is the fair market value of interests in a family limited partnership that petitioner transferred in 1996.

In re Estate of King

Issue is whether discounts for marketability and lack of control should be applied to determine value of minority interest in a closely held corporation.

Hess v. Commissioner

Taxpayers gave 10 shares of HII common stock (a 10% stockholder interest) to an irrevocable trust established for their daughter. Issue was the fair market value of the stock for gift tax p ...

Arn v. Arn

Issue is the valuation of husband's interest in wine company where he originally purchased 20% interest and later purchased remaining 80% but sale was still in escrow.

Gross Estate Includes Date-of-Death Value of Assets Transferred to Family Limited Partnership

The issue in this case was whether decedent's gross estate included the value of interests in two family limited partnerships: the Thompson Turner Family Limited Partnership ("Turner Partnership") and the Thompson Family Limited Partnership ("Thompson Partnership").

Estate of Thompson v. Commissioner

The issue in this case was whether decedent's gross estate included the value of interests in two family limited partnerships.

Five reasons for partnership discount

Partnership Re-Sale Discounts Justified , The Partnership Spectrum , January/February 2002, pp. 1-7. Partnership interests trade in the secondary market at discounts mostly due to a lack of mar ...

Marital Court Denies Discounts Based on Shareholder Fair Value Standard

The issues raised in this marital dissolution case were (1) whether the trial court erred in valuing husband's interest in Union County Florist Supplies, Inc . (Florist), the family florist ...

Brown v. Brown

Issues were value husband's interest in the family florist business, whether stock should be discounted for minority interest or marketability, and whether stock was a gift.

Option With No Bona Fide Business Purpose Not Relevant to FMV

This case deals with the valuation for estate tax purposes of four Housing and Urban Development (HUD) housing partnerships and one real estate management partnership.

Estate of Godley v. Commissioner (I)

At issue in the equitable distribution litigation was the value of Fred Jr.'s 50-percent general partnership interest in the partnerships.

Taxpayer Victory on FLP Recognition

On Jan. 18, 2000, Judge Orlando Garcia of the United States District Court ruled in favor of the taxpayer in the first family limited partnership case to be tried in a federal district court.

Church v. United States (I)

At issue is whether a partnership transaction was entered into for no purpose other than to reduce the taxation of Mrs. Church's estate.

Family Limited Partnership Formed Two Days Before Death Not Sham Transaction

The primary issue in this estate tax refund action was whether Stumberg Ranch Partners Ltd. was formed for a bona fide business purpose, or was a sham transaction designed to avoid estate and gift taxes.

No Gift Tax Due When Partnership Was Formed Two Days Before Death

The U.S. District Court for the Western District of Texas rejected the IRS' position that gift tax was due on the formation of a family limited partnership formed two days before the decedent's death.

Priebe v. Priebe

Issue is the value of husband's one-quarter interest in four family businesses, including whether a forty-percent minority discount was appropriate in a divorce setting.

Application of Minority Discounts Determined on a Case-by-Case Basis

The South Dakota Supreme Court affirmed the application of a 40% minority interest discount to the husband's 25% interests in four family businesses. After reviewing cases from other jurisdictions, the supreme court noted that the application of a minorit ...

226 - 242 of 242 results