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Funding Estate Taxes: Is The Interplay Of Graegin And Family Limited Partnerships A Toxic Concoction?

Written by Harrison LLP | Mar 31, 2008 9:49:36 PM

 

Journal of Passthrough Entities

One of the more complicated decisions is how to pay estate taxes, post mortem, when a family limited partnership has been set up with a substantial portion of the decedent’s assets. In many cases, outside of the family limited partnership, there are not sufficient assets to pay the estate taxes.

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