Special Estate Tax Provisions for Farmers Should be Simplified to Achieve Fair Distribution of Benefits: ReportU.S. General Accounting Office, 1981 - 89 lappuses |
No grāmatas satura
1.–5. rezultāts no 11.
viii. lappuse
... considered difficult to understand and administer 34 39 43 93 43 46 47 47 Qualifying for section 6166 could be difficult 49 Summary 49 7 CONCLUSIONS AND RECOMMENDATIONS Recommendations to the Congress Agency comments 35 555 51 53 55 ...
... considered difficult to understand and administer 34 39 43 93 43 46 47 47 Qualifying for section 6166 could be difficult 49 Summary 49 7 CONCLUSIONS AND RECOMMENDATIONS Recommendations to the Congress Agency comments 35 555 51 53 55 ...
1. lappuse
... considered a benefit for which a charge in the form of a tax might be imposed . Since the estate tax is imposed following a person's death , it is expected to affect one's economic behavior less than an income tax . Some persons also ...
... considered a benefit for which a charge in the form of a tax might be imposed . Since the estate tax is imposed following a person's death , it is expected to affect one's economic behavior less than an income tax . Some persons also ...
7. lappuse
... considered the fair market value . The expected use that corresponds to the higher price is known as the " highest and best use . To provide tax relief for farm estates , the Congress enacted special use valuation , section 2032A of the ...
... considered the fair market value . The expected use that corresponds to the higher price is known as the " highest and best use . To provide tax relief for farm estates , the Congress enacted special use valuation , section 2032A of the ...
40. lappuse
... considered in determining comparability , but the factors are still subjective . An unreasonable , narrow definition of comparability and locality would greatly limit the number of estates using the formula method . Representatives of ...
... considered in determining comparability , but the factors are still subjective . An unreasonable , narrow definition of comparability and locality would greatly limit the number of estates using the formula method . Representatives of ...
44. lappuse
... considered in their total effect , show that he is materially and signifi- cantly involved in the production of the farm commodities . Only the third test really provides definitive limits to remove subjectivity in measuring material ...
... considered in their total effect , show that he is materially and signifi- cantly involved in the production of the farm commodities . Only the third test really provides definitive limits to remove subjectivity in measuring material ...
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adjusted gross estate administration APPENDIX III APPENDIX attorneys average farm benefits capitalization cash rent cash rental Castro County Chariton County closely-held business Comanche County Congress costs crop share decedent decedent's death deferred and installment discount rate draft report effective electing special ERTA estate and gift estate planning estate tax provisions estate tax returns estate's estates electing estates valued estimated executor fair market value farm estates farm income farm operation farmers Federal estate tax gift tax highest and best illiquid increased inheritors installment payment provisions interest rate interviewed Kit Carson County landowner lease lien loan Logan County marital deduction material participation requirements Monterey County Office owners problems qualified heir real property recapture reduced San Joaquin County share rental small farms sold special estate tax special use valuation tax deferral tax rate Tax Reform Act tax saving taxable estate tenant treatment of farm unified credit valuation law
Populāri fragmenti
6. lappuse - The fair market value is the price at which the property would change hands between a willing buyer and a willing seller, neither being under any compulsion to buy or sell and both having reasonable knowledge of relevant facts.
9. lappuse - ... residential buildings, and related improvements located on qualifying real property if such buildings are occupied on a regular basis by the owner or lessee of the real property (or by employees of the owner or lessee) for the purpose of operating or maintaining the real property or the business conducted on the property.
10. lappuse - If, within 15 years after the death of the decedent (but before the death of the qualified heir), the property is disposed of to nonfamily members or ceases to be used for farming or other closely held business purposes, all or a portion of the Federal estate tax benefits obtained by virtue of the reduced valuation will be recaptured by means of a special "additional estate tax" imposed on the qualified heir.
84. lappuse - Material participation shall be determined in a manner similar to the manner used for purposes of paragraph (1) of section 1402(a) (relating to net earnings from selfemployment).
11. lappuse - In some cases, the greater estate tax burden makes continuation of farming, or the closely held business activities, not feasible because the income potential from these activities is insufficient to service extended tax payments or loans obtained to pay the tax. Thus, the heirs may be forced to sell the land for development purposes.
8. lappuse - The capitalization of income which the property can be expected to yield for farming or closely held business purposes over a reasonable period of time under prudent management using traditional cropping patterns for the area, taking into account soil capacity, terrain configuration, and similar factors...
39. lappuse - ... (ii) The average annual effective interest rate for all new Federal Land Bank loans. For purposes of this rule, each average annual computation is to be made on the basis of the 5 most recent calendar years ending before the date of the decedent's death. The special farm valuation method is provided to permit the executor, in many situations, to achieve a substantial amount of certainty in arriving at use valuation for farmland as well as to eliminate nonfarm factors in valuing farmland. Since...
11. lappuse - Valuation on the basis of highest and best use, rather than actual use, may result in the imposition of substantially higher estate taxes. In some cases, the greater estate tax burden makes continuation of farming, or the...
6. lappuse - ... business (including a farm). Under this provision, the executor can elect to defer principal payments for up to 5 years from the due date of the estate tax return. However, interest for the first 5 years is payable annually.
9. lappuse - Qualified real property also includes roads, buildings, and other structures and improvements functionally related to the qualified use. On the other hand, elements of value which are not related to the farm or business use (such as mineral rights) are not to be eligible for special use valuation. For example, if there is an oil lease on a farm, the full value of the lease is to be taken into account for estate tax purposes. Similarly, if there are buildings or other improvements on (or contiguous...