The U.S. Supreme Court's unanimous decision in Connelly v. United States has significant implications for the tax treatment of stock purchase agreements and estate tax valuations of closely held businesses. The ruling emphasizes the need for careful consideration of tax-related elements such as recitals, definitions, and purchase price mechanics in these agreements. Additionally, the decision impacts redemption agreements and life insurance proceeds, highlighting potential changes in estate tax valuations for closely held businesses.
The U.S. Supreme Court’s Decision in Connelly Impacts Estate Tax Valuations of Closely Held Businesses https://t.co/WL9xVNgefb
Redemption Agreements and Life Insurance Proceeds: What the SCOTUS Decision in Connelly Means for Closely Held Businesses https://t.co/TVWZCC9Uo0
Redemption Agreements and Life Insurance Proceeds: What the SCOTUS Decision in Connelly Means for Closely Held Businesses https://t.co/lUjjN21x0S | by @lplegal