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Corporate Events as Indirect Gifts

By Farrell Fritz P.C. on November 24, 2014
Posted in Federal Tax Issues

 Last month we considered a situation in which the recapitalization of the equity in a family-controlled business resulted in a taxable gift. Today we will consider how a family-owned corporation’s redemption of shares from a parent-shareholder may be treated as a taxable gift from the parent, and may result in some unexpected consequences for the…

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