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Estate of Mitchell v. Commissioner (III)

The Tax Court, reaching the same final valuation conclusion, again applied a 35% discount on remand.

Estate of Fontana v. Commissioner

The issue was whether two blocks of stock had to be aggregated for valuation purposes.

2002-2010 tax law changes

The New Estate, Gift and Generation Skipping Law, Curtis R. Kimball, Insights , Autumn 2001, Willamette Management Associates, www.willamette.com . This article discusses the gift and es ...

40% 'Aggregate' Discount: Marketability, Control, and Unrealized Capital Gains

The IRS determined that decedent's estate owed amounts for estate tax and gift tax deficiencies.

5th Circuit Acknowledges Substantial Built-In Tax Liability on Timber Property

The issue on appeal was whether the Tax Court erred in the valuation of closely held stock and improperly denied a full discount for capital gains liability.

What's new online at BVLibrary.com

BVLibrary is a website designed with the business valuation professional in mind. It offers instant access to the latest business valuation research ...

Estate of Dailey v. Commissioner (I)

At issue are the valuation of certain retained and gift interests in a Family Limited Partnership (FLP).

Buy-Sell Agreements Fail Lauder II Test and Are Considered Testamentary Devices

This 336-page estate and gift case deals with a $75,935,883 tax deficiency and $30,328,153 in associated penalties asserted by the IRS.

Estate of Jameson v. Commissioner

At issue is whether the Tax Court erred in valuing assets of Johnco, Inc. ("Johnco"), a holding company that is part of the estate.

5th Circuit Reverses Tax Court's Capital Gains Discount 'Model'

The issue on appeal was whether the Tax Court erred in the valuation of closely held stock and improperly denied a full discount for capital gains liability.

Shackleford v. United States

At issue is whether a statutory anti-assignment restriction on lottery payments justifies departure from the Department of Treasury's annuity tables when determining the asset's present value.

Fair Market Value Trumps IRS Valuation Tables

In 1987, Thomas J. Shackleford bought a California Lottery ticket for $1 and won the jackpot.

The Anatomy of Valuing Stock in Close Held Corporations: Pursuing the Phantom of Objectivity into the New Millennium

Stephen J. Leacock Columbia Business Law Review , 2001 Issue This article discusses several valuation approaches followed by the courts, particularly with valuation disputes concerning close ...

Estate of O'Neal v. United States

At issue is the valuation date of the value of a deduction claimed by the estate.

11th Circuit Holds Claims Against Estate Do Not Include Post-Death Events

This is an appeal from the United States District Court for the Northern District of Alabama.

Estate of Schwan v. Commissioner

At issue is the valuation of the decedent's stock in a closely-held corporation for purposes of computing the gross estate and the allowable charitable deduction under Federal tax laws.

Redemption Agreement Did Not Affect Value of Decedent's Estate

The petitioners in this case, decedent's estate and a charitable foundation (the Martin M. Schwan Foundation), challenged the IRS' determination that the estate had a tax deficiency based on a bequest to the foundation and that the foundation was liable as a transferee.

Valuation uncertainty continues – the Ninth Circuit reverses the Tax Court

The recent enactment of the Economic Growth and Tax Relief Reconciliation Act of 2001 1 (Act) poses new challenges and opportunities alike to owners of substantial estates and their profess ...

Estate of Cook v. Commissioner

At issue is the value at decedent's date of death of her interest in a limited partnership.

Tax Court Values Partnership Interest in Future Lottery payments

This estate tax case concerns 19 annual installment payments of lottery winnings to a limited partnership in which the decedent held a 2% general partnership interest and a 48% limited partnership interest.

Estate of True v. Commissioner

1Cases of the following petitioners are consolidated herewith: Jean D. True, docket No. 3408-98 and Estate of H.A. True, Jr., Deceased, H.A. True, III, Personal Representative, docket No. 3409-98. T.C. Memo. 2001-167 UNITED STATES TAX COURT ESTATE OF H.A. TRUE, JR., DECEASED, H.A. TRUE, III, PERSONAL REPRESENTATIVE, AND JEAN D. TRUE, ET AL.1, Petitioners v. COMMISSIONER OF INTERNAL REVENUE, Respondent Docket Nos. 10940-97, 3408-98, Filed July 6, 2001. 3409-98. Buford P. Berry, Emily A. Parker ...

Buy-Sell Agreements Are Testamentary Devices

This 336-page estate and gift case deals with a $75,935,883 tax deficiency and $30,328,153 in associated penalties asserted by the IRS.

Buy-Sell Agreements Do Not Control for Estate Tax Purposes

The Tax Court considered whether buy-sell agreements controlled the value of the business interests the decedent held for estate and gift tax purposes.

Tax Court Upholds Estate's Fractional Discount for Minority Interest Held by Limited Partnership

This valuation dispute arose from the undivided real estate interest held by the Forbes QTIP trust.

Simplot Reversed by 9th Circuit; Control Premium for Voting Shares Incorrectly Applied

This case is the 9th Circuit Court of Appeals' decision on appeal of Estate of Simplot v. Commissioner, 112 T.C. No.13 (1999), which was abstracted in the May 1999 issue of Shannon Pratt's Business Valuation Update.

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