Fisher v. United States, No. 1:08-cv-00908-LJM-MJD, 2011 U.S. Dist. LEXIS 43169 (S.D. Ind. Apr. 19, 2011)

(case involves defendant's motion in limine to exclude testimony concerning valuation methods and evidence that IRS used to determine discounts for minority interest and lack of marketability; motion granted; IRS not required to use same methodology in subsequent refund proceeding as was used in initial assessment determination). 

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