{"has_more":true,"total_items":101,"items":[{"vg_id":0,"authors":[{"author_name":" Irc § 170"}]},{"vg_id":0,"journal":"2017-164; Big River Development, LP v","page_from":2017,"authors":[{"author_name":"Llc Retail"},{"author_name":"T C Comm'r"},{"author_name":" Memo"}],"page_to":166},{"vg_id":0,"published_date":2011,"journal":"LLC involved a New York facade easement for which the taxpayer claimed a $64,490,000 deduction. The property had been acquired 2½ years before the donation for $10 million, and the taxpayer was positing that the property had appreciated in value by almost 600% during that time"},{"vg_id":0,"journal":"§ 13705","page_from":115,"authors":[{"author_name":" L Pub"}],"page_to":97,"doi":"https://doi.org/10.1038/scientificamerican06111892-13705asupp"}]}