The lower income tax basis from electing special use valuation1 has always been an important consideration in whether the election to use or not to use special use valuation should be made but a recent Tax Court case2 has emphasized just how important -- for a potentially lengthy time period -- that election can be with a resultant low income tax basis. That factor can affect financial decisions for decades and decades to come
To achieve tax equality, lawmakers have proposed eliminating the step-up in basis for assets passing...
One of the most painful outcomes on the formation of a corporation in a tax-free exchange is to disc...
It is widely understood that indebtedness in excess of income tax basis is a problem in sales or exc...
At the time of enactment of special use valuation in 1976,1 no mention was made of the possibility o...
A dispute between the Internal Revenue Service and an estate in 1988 that first raised the question ...
Although some have argued strongly to the contrary, it was clear for decades even before the statute...
One of the important objectives in the incorporation of a farm or ranch business is to accomplish a ...
Farm and ranch businesses for many years have been eligible for discounts for minority interest and ...
"Inflated land values have increased the impact of the federal estate tax on heirs of family farm op...
The rapidly escalating values of farmland1 (and some ranchland) in recent years has raised the quest...
Since publication of the initial regulations, the Internal Revenue Service has maintained that real ...
In recent years the value of America\u27s farmland has increased at a phenomenal rate. Normally, far...
The battle over the portion of value of property owned in joint tenancy (or tenancy by the entirety)...
A recent inquiry by a tax practitioner on the proper reporting of a turnover of a farm tractor to th...
Examines Internal Revenue Code provisions on farmland as an inheritable asset, including those provi...
To achieve tax equality, lawmakers have proposed eliminating the step-up in basis for assets passing...
One of the most painful outcomes on the formation of a corporation in a tax-free exchange is to disc...
It is widely understood that indebtedness in excess of income tax basis is a problem in sales or exc...
At the time of enactment of special use valuation in 1976,1 no mention was made of the possibility o...
A dispute between the Internal Revenue Service and an estate in 1988 that first raised the question ...
Although some have argued strongly to the contrary, it was clear for decades even before the statute...
One of the important objectives in the incorporation of a farm or ranch business is to accomplish a ...
Farm and ranch businesses for many years have been eligible for discounts for minority interest and ...
"Inflated land values have increased the impact of the federal estate tax on heirs of family farm op...
The rapidly escalating values of farmland1 (and some ranchland) in recent years has raised the quest...
Since publication of the initial regulations, the Internal Revenue Service has maintained that real ...
In recent years the value of America\u27s farmland has increased at a phenomenal rate. Normally, far...
The battle over the portion of value of property owned in joint tenancy (or tenancy by the entirety)...
A recent inquiry by a tax practitioner on the proper reporting of a turnover of a farm tractor to th...
Examines Internal Revenue Code provisions on farmland as an inheritable asset, including those provi...
To achieve tax equality, lawmakers have proposed eliminating the step-up in basis for assets passing...
One of the most painful outcomes on the formation of a corporation in a tax-free exchange is to disc...
It is widely understood that indebtedness in excess of income tax basis is a problem in sales or exc...