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Full-Text Articles in Taxation-Federal Estate and Gift

Substance Over Form In Transfer Tax Adjudication, Richard Schmalbeck, Jay A. Soled Jan 2022

Substance Over Form In Transfer Tax Adjudication, Richard Schmalbeck, Jay A. Soled

Faculty Scholarship

The elevated exemption level under the federal transfer tax system (now in excess of $24 million for a married couple) has opened up new and abusive tax-avoidance opportunities. In many areas of the tax law, the substance over form doctrine historically has been effective in controlling such abuses; however, for a myriad of reasons, transfer tax jurisprudence has been marred by the reluctance of courts to embrace this doctrine. In this analysis, we urge reconsideration of that posture.


Determining An Asset's Tax Basis In The Absence Of A Meaningful Transfer Tax Regime, Jay A. Soled, Richard L. Schmalbeck Jan 2018

Determining An Asset's Tax Basis In The Absence Of A Meaningful Transfer Tax Regime, Jay A. Soled, Richard L. Schmalbeck

Faculty Scholarship

Until recently, in those circumstances where there was a valuation range with respect to a particular asset, executors faced a choice: among estates subject to the estate tax, declaring a high value would increase the estate tax liability; however, due to the Internal Revenue Code's "basis equal to fair market value" rule applicable at death, declaring a low value would expose heirs to a greater capital gains tax on subsequent asset disposition. Because the estate tax rates were higher and that tax was immediate (as opposed to deferred until a later sale by the heir), executors typically minimized asset values, …


Advocating A Carryover Tax Basis Regime, Richard Schmalbeck, Jay A. Soled, Kathleen Delaney Thomas Jan 2017

Advocating A Carryover Tax Basis Regime, Richard Schmalbeck, Jay A. Soled, Kathleen Delaney Thomas

Faculty Scholarship

For close to a century, an important (but unfortunate) feature of the Internal Revenue Code has been a rule that the tax basis of any asset is made equal to its fair market value at death. Notwithstanding the substantial revenue losses associated with this rule, Congress has retained it for reasons of administrative convenience.

But from three different vantage points, pressure has been mounting to change what is commonly referred to as the “step-up in basis rule.” First, politicians and commentators have historically tied the step-up in basis rule to the estate tax on the theory that income be taxed …


Rethinking The Penalty For The Failure To File Gift Tax Returns, Jay A. Soled, Paul L. Caron, Charles Davenport, Richard L. Schmalbeck Jan 2013

Rethinking The Penalty For The Failure To File Gift Tax Returns, Jay A. Soled, Paul L. Caron, Charles Davenport, Richard L. Schmalbeck

Faculty Scholarship

In this article, the authors argue that Congress must reform the penalty structure associated with the failure to file gift tax returns if it wants to maintain the integrity of the transfer tax system.


Reconsidering Private Foundation Investment Limitations, Richard L. Schmalbeck Jan 2004

Reconsidering Private Foundation Investment Limitations, Richard L. Schmalbeck

Faculty Scholarship

No abstract provided.


Federal Estate And Gift Taxation, Robert Kramer Jan 1959

Federal Estate And Gift Taxation, Robert Kramer

Faculty Scholarship

No abstract provided.


Federal Estate And Gift Taxation, Robert Kramer Jan 1958

Federal Estate And Gift Taxation, Robert Kramer

Faculty Scholarship

No abstract provided.


Federal Estate And Gift Taxation, Robert Kramer Jan 1958

Federal Estate And Gift Taxation, Robert Kramer

Faculty Scholarship

No abstract provided.


The Accrual Of Corporate Dividends Under The Federal Estate Tax, Charles L. B. Lowndes, Robert Kramer Jan 1954

The Accrual Of Corporate Dividends Under The Federal Estate Tax, Charles L. B. Lowndes, Robert Kramer

Faculty Scholarship

No abstract provided.