Let us help you tailor your charitable gift to your financial, tax or estate planning objectives.
At the time of her death, D owned a 23.44% interest in a family-owned personal holding company ("PHC"), whose assets consisted primarily of publicly traded stock. D's estate tax return reported the fair market value of D's interest in PHC as $3,149,767, using a capitalization-of-dividends method to value the asset. R used instead a net asset value ("NAV") method and determined a deficiency in D's estate tax as well as an accuracy-related penalty under I.R.C. sec. 6662. Held: The fair market value of D's 23.44% interest in PHC is better determined by an NAV method and is $6,503,804. Held, further, P is liable for a 20% accuracy-related penalty under I.R.C. sec. 6662(a), (b)(5), and (g).
FINDINGS OF FACT Pearson Holding Company PHC's maximizing of dividends PHC's BICG tax liability PHC stock transactions Ms. Richmond's ownership and bequest of PHC stock Financial information The estate tax return The notice of deficiency and the petition The Commissioner's expert The estate's expert Ultimate findings OPINION I. Introduction II. General principles of estate tax valuation III. Choice of valuation method IV. The value of the decedent's interest in PHC A. Discount for BICG liability 1. Notice of deficiency: a zero discount 2. The estate's expert: 100% of the BICG tax 3. The Commissioner's expert: 43% of the BICG tax 4. Our conclusion: present value of the BICG tax liability [*3] B. Discount for lack of control C. Discount for lack of marketability D. Conclusion V. Accuracy-related penalty
Pearson Holding Company PHC's maximizing of dividends PHC's BICG tax liability PHC stock transactions Ms. Richmond's ownership and bequest of PHC stock Financial information The estate tax return The notice of deficiency and the petition The Commissioner's expert The estate's expert Ultimate findings
I. Introduction II. General principles of estate tax valuation III. Choice of valuation method IV. The value of the decedent's interest in PHC A. Discount for BICG liability 1. Notice of deficiency: a zero discount 2. The estate's expert: 100% of the BICG tax 3. The Commissioner's expert: 43% of the BICG tax 4. Our conclusion: present value of the BICG tax liability [*3] B. Discount for lack of control C. Discount for lack of marketability D. Conclusion V. Accuracy-related penalty
A. Discount for BICG liability 1. Notice of deficiency: a zero discount 2. The estate's expert: 100% of the BICG tax 3. The Commissioner's expert: 43% of the BICG tax 4. Our conclusion: present value of the BICG tax liability [*3] B. Discount for lack of control C. Discount for lack of marketability D. Conclusion
1. Notice of deficiency: a zero discount 2. The estate's expert: 100% of the BICG tax 3. The Commissioner's expert: 43% of the BICG tax 4. Our conclusion: present value of the BICG tax liability
FOOTNOTE TO TABLE 1 PHC's common stocks were invested in 10 major industries with 42.8% of the stock concentrated in four companies: Exxon Mobil (15.7%), Merck & Co., Inc. (11%), General Electric Co. (8.1%), and Pfizer, Inc. (8%). END OF FOOTNOTE TO TABLE
PV = E0 (1 + g) / [k - g] where: E0 = Expected amount of economic income in the period immediately past k = Discount rate (or required rate of return) g = Expected growth rate of earnings, annually compounded into perpetuity
PV = $252,436 (1 + 0.05) / [0.1025 -0.05] = $265,058 / .0525 = $5,048,72413
Deduction Denied for Defective Appraisal
No Litigation Costs Allowed for $2 Million Estate
New Basis Rules for CRT Sales
IRS Procedures to Reinstate Tax-Exempt Status
Type Three SOs May Support Government Organizations
© Copyright 2026 The University of Texas Medical Branch at Galveston. Please Review Our Site Policies & Required Links.301 University Boulevard, Galveston, Texas, 77555-0148 • 409-747-8364 • UTMB Maps & Directions