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Options And Valuation Of Property For Federal Tax Purposes, William J. Bowe
Options And Valuation Of Property For Federal Tax Purposes, William J. Bowe
Vanderbilt Law Review
In Estate of John Q. Strange, there was an agreement between two brothers, engaged in business in a close corporation, which provided that upon the death of either, the survivor might acquire the stock of the other upon payment of $10,000 to his estate. Payment was so made following the decedent's death. The fair market value of the stock on the date of death was stipulated to be $238,126.54. The Board of Tax Appeals held that the option price of $10,000 was the proper amount to be included in the decedent's gross estate as the value of his stock.
In …