This document contains proposed regulations concerning the valuation of interests in corporations and partnerships for estate, gift, and generation-skipping transfer (GST) tax purposes. Specifically, these proposed regulations concern the treatment of certain lapsing rights and restrictions on liquidation in determining the value of the transferred interests. These proposed regulations affect certain transferors of interests in corporations and partnerships and are necessary to prevent the undervaluation of such transferred interests.
Document
Estate, Gift, and Generation-Skipping Transfer Taxes; Restrictions on Liquidation of an Interest
This document contains proposed regulations concerning the valuation of interests in corporations and partnerships for estate, gift, and generation-skipping transfer (GST) tax p...
Legal Citation
Federal Register Citation
Use this for formal legal and research references to the published document.
81 FR 51413
Web Citation
Suggested Web Citation
Use this when citing the archival web version of the document.
“Estate, Gift, and Generation-Skipping Transfer Taxes; Restrictions on Liquidation of an Interest,” thefederalregister.org (August 4, 2016), https://thefederalregister.org/documents/2016-18370/estate-gift-and-generation-skipping-transfer-taxes-restrictions-on-liquidation-of-an-interest.