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Tag Archives: norvalk v. com’r.

From Federal Courts, NYS Courts & Tax Tribunals — Recent Developments & 2014 Decisions of Note

Posted on February 19, 2015 by David L. Silverman, J.D., LL.M. (Taxation)

I.     Disputes Involving Sales of Assets to Grantor Trusts Reach the Tax Court In Estate of Woelbing v. Com’r, Docket No. 30261-13, filed on December 26, 2013, the IRS made several arguments seeking to negate the tax benefit sales of … Continue reading →

Posted in Federal Tax Litigation, Federal Tax Litigation, Gift & Estate Tax Decisions of Note, Tax News & Comment, Tax Refund Litigation | Tagged 3.8 percent net investment income tax trustees, Bross Trucking v. Com'r; gift tax adequate disclosure, conservation easements, estate of Mcneely v. U.S., Estate of Woelbing, Frank Aragona Trust v. Com'r, howard v. United States, norvalk v. com'r., overpayment of estate tax, Sales of Assets to Grantor Trusts, schilbach v. com'r, schneidelman v. com'r, taxation of corporate goodwill | Leave a comment
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