a legitimate and significant nontax reason for creating the family limited partnership, and [that] the transferors received partnership interests proportionate to the value of the property transferred. The objective evidence must indicate that the nontax reason was a significant factor that motivated the partnership's creation. A significant purpose must be an actual motivation, not a theoretical justification.
Estate Must Pay Gift Tax Interest
Estate Basis Reporting Proposed Regulations - REG-127923-15
Estate Basis Reporting Proposed Regulations - T.D. 9757