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Currently, the estate tax does not accurately value the property and transactions that it is meant to cover. Additionally, the marital and charitable deductions do not reflect actual associated transfers, instead skewing their benefits away from their purported beneficiaries. This Article...
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The purpose of this article is to propose a simpler verifiable gift tax, to reassert basic principles of transfer taxes, to encourage simple, outright gifts, and to eliminate some of the major abuses in the current gift tax regime. To accomplish these goals, the proposed tax would simplify gift...
Persistent link: https://www.econbiz.de/10013032139
In Estate of Shapiro, the Ninth Circuit held that an individual had a valid palimony claim under Nevada state law. However, the issue was whether the decedent's estate qualified for a deduction for that claim under federal estate tax law
Persistent link: https://www.econbiz.de/10013124754
It is difficult to value fractional interests in art because there is virtually no market in those interests. Nevertheless, the Tax Court in Estate of Elkins valued the decedent's fractional interests in multiple artworks, which the decedent and his children highly cherished. First, the court...
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Treasury recently announced proposed regulations under section 2032 explaining valuation rules for assets when the decedent elects to apply the alternate valuation date. The regulations first provide background information about the statute, including legislative history and case law...
Persistent link: https://www.econbiz.de/10014215330
It is the purpose of this comment to explore a hypothetical situation, to take the facts of the Quinlan case as revealed in the New Jersey Superior Court and the New Jersey Supreme Court opinions and interpret them under applicable Ohio law
Persistent link: https://www.econbiz.de/10014212436
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The article critiques the Tax Court's latest family limited partnership case, Mirowski, as well as the court's Bongard test, which is applied to determine whether or not an FLP falls within the bona fide sales exception of section 2036
Persistent link: https://www.econbiz.de/10012770882