The Discount Engine: Family Limited Partnerships (FLP)

The Discount Engine: Family Limited Partnerships (FLP)

How to legally convince the IRS that your $10M asset is only worth $7M. The mathematics of “Lack of Control” and “Lack of Marketability” discounts.

Dec 29, 2025 Code Authority: Team BMT RETIREMENT > ESTATE PLANNING

Executive Summary

  • The Concept: If you own a $10M building directly and give it to your child, the IRS values the gift at $10M. But if you put the building into a **Family Limited Partnership (FLP)** and give your child a “99% Limited Partner Interest,” the value is no longer $10M.
  • The Discount Logic: The IRS acknowledges that a “Limited Partner” share is worth less than the underlying asset because:
    1. Lack of Control (DLOC): The LP cannot make decisions (sell, refinance).
    2. Lack of Marketability (DLOM): You cannot easily sell an LP interest to a stranger.
    👉 Result: A combined discount of 25% to 35% is common.
  • The Leveraged Gift: By applying a 30% discount, you can transfer $14M of real assets using only $10M of your Lifetime Gift Exemption. You effectively created $4M of tax-free wealth transfer out of thin air.

The “Section 2036” Trap

Piggy Bank Warning: The IRS wins FLP cases when the parent (General Partner) treats the FLP bank account like a personal wallet.
👉 Rule: You must respect the entity. Assets must be legally titled to the FLP. Distributions must be pro-rata. You cannot use FLP money to pay for your groceries or personal vacation. If you do, the IRS pierces the veil and includes 100% of the assets in your estate.

Mechanic: The Value Compression

-30% Value
Typical Discount
Control
Parent is GP
Protection
Creditor Shield
Appraisal
Must be Qualified

Simulation: Transferring a $10M Apartment Complex

Gift Tax Exemption Usage
Direct Gift (Deed Transfer)$10.0M Exemption Used
You used $10M of your lifetime limit. Efficiency = 1.0x.
FLP Interest Gift (-30%)$7.0M Exemption Used
Qualified Appraiser values the restricted LP interest at $7M. You save $3M of exemption for future use.
Tax Savings (@ 40% Rate)+$1.2M Cash Saved
If you were over the exemption limit, this discount saved you $1.2M in actual tax checks.
Feature Direct Ownership Family Limited Partnership (FLP)
Valuation Basis Fair Market Value Discounted Value (Lack of Control)
Asset Protection None (Seizable) Charging Order Protection
Management Fractured (if multiple heirs) Centralized (General Partner decides)

“In the eyes of the IRS, a minority interest in a family business is like a ticket to a concert that you can’t resell and can’t choose the seat for. It’s inherently worth less than the ticket price. Smart families use this ‘flaw’ to transfer massive wealth at a discount.”

Essential Resources

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