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Transcending Fair Market Value

Value Scope

Click to Download: Transcending Fair Market Value Transcending Fair Market Value “Beauty is in the eyes of the beholder.” 1] But the concept of value is complex. 1] But the concept of value is complex. intrinsic value, fair value, fair market value).

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Transcending Fair Market Value

Value Scope

Click to Download: Transcending Fair Market Value. Transcending Fair Market Value. Margaret Wolfe Hungerford (née Hamilton), who authored many books, often under the pseudonym of ‘The Duchess’ When I think about value, I (like most in my profession) think first about fair market value (“FMV”).

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Fair Market Value and the Nonexistent Marketability Discount for Controlling Interests

Chris Mercer

This post provides a discussion of several implications of the definition of the standard of value known as fair market value. We focus first on the definition of fair market value. We then look at the implications for the so-called “marketability discount for controlling interests.”

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Appraised Value vs. Market Value: Understanding the Differences and Why They Matter

Viking Mergers

Appraisal and fair market values are two of these figures, which are fundamental in getting the most money for the company you have worked hard to build. Although these two numbers should ideally be the same, fluctuations in the market coupled with more subjective factors not found on paper often mean that it is different.

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Are Employer-Paid Retirement Planning Services Taxable?

ThomsonReuters

We are concerned, however, that employees may not have sufficient information and professional advice to make good retirement planning decisions, so we would like to start making retirement planning services available. If we do, will those services be taxable, adding to our cost and administrative burden?

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Surviving IRS Scrutiny: Partners' Arm's Length Valuation Agreements

Trout CPA

In a recent Tax Court case, the IRS attempted — unsuccessfully — to supplant the fair market value agreed to by unrelated parties in a partnership transaction with its expert’s higher estimate, asserting that the taxpayer received a taxable capital interest in exchange for services provided to a partnership, not a nontaxable profits interest.

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IRS Valuation Guidance

Auto Dealer Valuation Insights

In this blog post, we discuss portions of Treasury Regulation 1.611 and its additional guidance when determining the fair market value of mineral properties.