Wednesday, February 20, 2013

Personal Goodwill, Purchase Agreements, and Covenants Not to Compete

A common strategy for shareholders of closely held corporations to avoid double tax involves the assertion that a portion of the disposition of the business relates to the sale of personal goodwill of the shareholder.

Source: http://feedproxy.google.com/~r/AICPA_TaxAdvisor/~3/e3TTumj2EuI/clinic-story-03.aspx

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