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Robert S. Barnett, a certified public accountant and a partner in Capell Barnett Matalon & Schoenfeld, analyzes a recent case concerning whether the value of property transferred by a man to a limited partnership, was includable in his gross estate under the provisions of IRC Section 2036(a). Section 2036(a) requires estate inclusion of the value of all property to which the decedent has retained the possession or enjoyment or the right to designate the persons who shall enjoy the property.
December 30, 2005 at 12:00 AM
1 minute read
Presented by BigVoodoo
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