Like bringing a knife to a gunfight: Why IRC Section 2036 is not the right weapon to combat abusive family limited partnerships.Published in:Family Court Review, 2023, v. 61, n. 3, p. 665, doi. 10.1111/fcre.12728By:Trotta, Nicholas J.Publication type:Article
IT'S A TAX THING: THE MISNAMED "HEIGHTENED SCRUTINY" STANDARD FOR EVALUATING FAMILY LIMITED PARTNERSHIPS.Published in:Quinnipiac Probate Law Journal, 2013, v. 26, n. 4, p. 403By:LUCID, KEVIN A.Publication type:Article
MANAGING FEDERAL ESTATE TAX LIABILITY WITH TEXAS FAMILY LIMITED PARTNERSHIPS.Published in:Southern Journal of Business & Ethics, 2011, v. 3, p. 8By:Ritter, David;Shampton, John F.Publication type:Article
Tax Tip.Published in:Journal of Passthrough Entities, 2012, v. 15, n. 6, p. 59By:Owen, Stephen L.Publication type:Article