Defined value clauses used to value nonmarketable family limited partnership (FLP) interests create valuation distortions and other public policy issues. This paper describes these abuses and proposes the employment of restrictions similar to those applied to pecuniary formula marital deduction clauses. The article explains how pecuniary formula marital deduction provisions created valuation distortions by allowing for undervaluation of the marital share that were remedied by the IRS’s Rev. Proc. 64-19 and the enactment of section 2056(b)(10). The article analyzes recent case law expanding the use of defined value clauses into the FLP area and criticizes the courts for not applying the public policy doctrines of Procter and Robinette to tho...
The partnership form is an extremely popular vehicle for raising money for real estate development b...
The marital deduction formula bequest exists principally as a means of minimizing federal estate tax...
This article analyzes in detail the provisions of the 1984 Tax Reform Act relating to property settl...
Defined value clauses used to value nonmarketable family limited partnership (FLP) interests create ...
In a recent decision, the Tax Court concluded that an interest passing to a surviving spouse under a...
The Wandry decision extends the application of defined value clauses beyond those family limited par...
In Hendrix the Tax Court considered the issues of whether defined value clauses were the result of a...
Once upon a time, and not so very long ago, a child was born, much to the delight of its lawyer-pare...
In recent years, family limited partnerships have gained in popularity for various reasons. Much of ...
Early cases involving the government\u27s invocation of section 2036(a) to combat the use of family ...
Family limited partnerships ( FLP\u27s ) are commonly used for estate planning and estate tax saving...
Family partnerships have been become increasingly popular as a means of avoiding estate and gift tax...
A recent development in the field of estate and gift taxation-the issuance of Revenue Ruling 76-156 ...
The Tax Court\u27s Koons decision explains the rules for allowing an estate to deduct interest payme...
Funding the marital and non-marital shares in a farm or ranch estate is always an important decision...
The partnership form is an extremely popular vehicle for raising money for real estate development b...
The marital deduction formula bequest exists principally as a means of minimizing federal estate tax...
This article analyzes in detail the provisions of the 1984 Tax Reform Act relating to property settl...
Defined value clauses used to value nonmarketable family limited partnership (FLP) interests create ...
In a recent decision, the Tax Court concluded that an interest passing to a surviving spouse under a...
The Wandry decision extends the application of defined value clauses beyond those family limited par...
In Hendrix the Tax Court considered the issues of whether defined value clauses were the result of a...
Once upon a time, and not so very long ago, a child was born, much to the delight of its lawyer-pare...
In recent years, family limited partnerships have gained in popularity for various reasons. Much of ...
Early cases involving the government\u27s invocation of section 2036(a) to combat the use of family ...
Family limited partnerships ( FLP\u27s ) are commonly used for estate planning and estate tax saving...
Family partnerships have been become increasingly popular as a means of avoiding estate and gift tax...
A recent development in the field of estate and gift taxation-the issuance of Revenue Ruling 76-156 ...
The Tax Court\u27s Koons decision explains the rules for allowing an estate to deduct interest payme...
Funding the marital and non-marital shares in a farm or ranch estate is always an important decision...
The partnership form is an extremely popular vehicle for raising money for real estate development b...
The marital deduction formula bequest exists principally as a means of minimizing federal estate tax...
This article analyzes in detail the provisions of the 1984 Tax Reform Act relating to property settl...