- New FLP Case: Taxpayer’s First Asset Transfer Merits Discount, But Not Second
- Tax Court’s Adjustment to Reasonable Compensation ‘Dizzying and Arbitrary’
- No Legitimate Business Purpose for FLP Precludes Analysis of Discounts
- In Dueling Daubert Motions, Both Experts’ Evidence Accepted
- The Most Credible Experts Admit the Weaknesses in Their Reports Up Front
- VMI Highlights