2011
DOI: 10.19030/jber.v1i12.3075
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Section 2036 Proves Potent IRS Weapon Against Family Limited Partnerships

Abstract: Taxpayers successful uses of Family Limited Partnerships (FLPs) to shield wealth from estate taxes and gift taxes are being challenged by the IRS with Code Section 2036. Sec. 2036 pulls back into the taxable estate all assets over which the taxpayer retains direct or indirect control, subjecting them to transfer taxes. These assets can include those transferred to FLPs where taxpayers act carelessly in conducting relationships with the entity. The IRS use of Code Section 2036 has recently resulted in taxpayer … Show more

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