Valuation Misstatement and Highest and Best Use: Tax Court Again Rejects Easement Valuation Based on Discounted Cash Flow Analysis for a Nonexistent Business
The memorandum opinion in Paul-Adams Quarry Trust, LLC, Francis L. Adams, Tax Matters Partner, v. Commissioner Of Internal Revenue, T.C. Memo. 2025-112, addresses the proper valuation of a qualified conservation contribution under Internal Revenue Code (I.R.C.) § 170(h), specifically focusing on whether the highest and best use of the property supported the substantial charitable deduction claimed, and whether accuracy-related penalties applied.
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