Abstract
Excerpt: “The authors of this article offer an overview of the pertinent cases—to reveal that the taxpayer has the burden of proof in establishing the amount of any and all discounts when interests in a closely held entity are transferred by gift or death.” (p.44)
Original language | American English |
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Journal | Default journal |
State | Published - Jan 1 2001 |
Keywords
- Valuation
- Real estate business