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  • Family Limited Partnerships Discounting
    Family limited partnerships (FLPs) reduce estate taxes by the combined operation of discounting the value of limited partnership interests, and gifting the discounted limited interests The two principals work together: First, the value of a limited interest in the FLP is discounted
  • Family Limited Partnerships 101 - Wolters Kluwer
    Family limited partnerships (FLPs) have become an increasingly popular way to transfer assets at a substantially reduced gift and estate tax cost Here's a primer on this useful but complex topic
  • Family Limited Partnership Unit Valuation Discounts
    Valuation discounts commonly applied in family limited partnerships include minority interest discounts, lack of marketability discounts, and control premium adjustments Each discount reflects specific limitations on the transferability, control, or market exposure of partnership interests
  • The Value of Valuation Discounts in Transferring Ownership of . . .
    The most common valuation discounts used in transferring ownership interests in family owned businesses are those for lack of marketability, lack of control and minority interest or share These discounts, alone or in combination, may range from 10% to 50% or higher depending on a number of factors
  • Estate Planning Q A: Family limited partnerships explained
    By taking advantage of valuation discounts on FLP interests, you can transfer more wealth out of your estate during life at a lower gift tax cost Examples of these discounts include: Lack of marketability - applies to interests in FLPs because these interests are owned by family members privately
  • Family Partnership Valuation Discounts Approved By Tax Court
    Key facts include how the family actually treats the entity in question and, for purposes of present interest gift exclusions, whether there is an actual realistic expectation of a current cash
  • Cut Wealth Transfer Taxes With a Family Limited Partnership . . .
    To avoid paying gift tax or using the lifetime applicable exclusion amounts, each parent could gift LPS interests to each of the children worth $36,000 per year ($18,000 from each parent to





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