Part I of this article will describe the techniques for using FLPs to reduce gift and estate taxes. Part II will discuss the economic validity of the discounts that are allowed under current law. Part III will examine the current status of the law regarding FLPs. Finally, Part IV will discuss the need for reform and will analyze and evaluate the various proposals for reform put forth to date. Part IV will conclude with a new recommendation for curtailing the abusive use of FLPs
Family limited partnerships have been popular gift and estate tax planning vehicles for many years. ...
In their contributions to this Symposium, Professor Joseph Dodge, Professor Wendy Gerzog, and Profes...
The federal estate tax has been a part of our tax structure since the founding of the country. It is...
Family partnerships have been become increasingly popular as a means of avoiding estate and gift tax...
Family Limited Partnerships (FLPs) represent unique vehicles for transferring wealth, such as family...
This Article offers three sets of proposals to reform the existing federal wealth transfer tax syste...
Family limited partnerships ( FLP\u27s ) are commonly used for estate planning and estate tax saving...
The Economic Growth and Tax Relief Reconciliation Act of 2001 (EGTRRA, P.L. 107-16) repeals the esta...
In a previous work appearing in this Journal, the authors proposed an approach to estate and gift ta...
Taxpayers’ successful uses of Family Limited Partnerships (FLPs) to shield wealth from estate taxes ...
In a previous article, we argued that contrary to the state of the law over 35 years ago — when Geor...
This paper surveys, integrates, and extends research on estate and gift taxes. The paper begins with...
The impact of estate and gift taxes is a major consideration in the formation and restructuring of c...
Supporters of the estate and gift tax argue that it provides progressivity in the federal tax system...
The Economic Growth and Tax Relief Reconciliation Act of 2001 promises dramatic reductions in income...
Family limited partnerships have been popular gift and estate tax planning vehicles for many years. ...
In their contributions to this Symposium, Professor Joseph Dodge, Professor Wendy Gerzog, and Profes...
The federal estate tax has been a part of our tax structure since the founding of the country. It is...
Family partnerships have been become increasingly popular as a means of avoiding estate and gift tax...
Family Limited Partnerships (FLPs) represent unique vehicles for transferring wealth, such as family...
This Article offers three sets of proposals to reform the existing federal wealth transfer tax syste...
Family limited partnerships ( FLP\u27s ) are commonly used for estate planning and estate tax saving...
The Economic Growth and Tax Relief Reconciliation Act of 2001 (EGTRRA, P.L. 107-16) repeals the esta...
In a previous work appearing in this Journal, the authors proposed an approach to estate and gift ta...
Taxpayers’ successful uses of Family Limited Partnerships (FLPs) to shield wealth from estate taxes ...
In a previous article, we argued that contrary to the state of the law over 35 years ago — when Geor...
This paper surveys, integrates, and extends research on estate and gift taxes. The paper begins with...
The impact of estate and gift taxes is a major consideration in the formation and restructuring of c...
Supporters of the estate and gift tax argue that it provides progressivity in the federal tax system...
The Economic Growth and Tax Relief Reconciliation Act of 2001 promises dramatic reductions in income...
Family limited partnerships have been popular gift and estate tax planning vehicles for many years. ...
In their contributions to this Symposium, Professor Joseph Dodge, Professor Wendy Gerzog, and Profes...
The federal estate tax has been a part of our tax structure since the founding of the country. It is...