IRS Revenue Ruling 59-60 Rev
59-60, 1959-1 CB 237 -- IRC Sec
2031 (Also Section 2512
) (Also Part II, Sections 811(k), 1005, Regulations 105, Section 81
) Reference(s): Code Sec
2031 Reg § 20
2031-2 In valuing the stock of closely held corporations, or the stock of corporations where market quotations are not available, all other available financial data, as well as all relevant factors affecting the fair market value must be considered for estate tax and gift tax purposes
No general formula may be given that is applicable to the many different valuation situations arising in the valuation of such stock
However, the general approach, methods, and factors which must be considered in valuing such securities are outlined
Revenue Ruling 54-77, C
1954-1, 187, superseded
Full T