Estate of Shurtz v. Commissioner (filed 2/3/10)

In this U.S. Tax Court case, the Court found that the decedent had valid non-tax reasons for establishing the FLP. Thus, section 2036(a) did not cause the contributed assets to be included in the decedent’s estate.


Note: Full-text of this case can be found by clicking on the above name of the case.





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