In Connelly v. United States,1 the U.S. Supreme Court unanimously held that life insurance proceeds payable to a corporation when a shareholder dies add to the value of the deceased shareholder’s stock for calculating estate tax. The decision undermines conventional life insurance-funded redemption buy-sell agreements, in which insurance proceeds are paid to a corporation to redeem a deceased shareholder’s stock. Clients and their advisors will need to consider amending
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