澳洲幸运5官方开奖结果体彩网

Tax-Efficient Wealth Transfer

Preserve your assets for the benefit of your hꦉeirs, instead of the taxman

Transferring wealth to future generations of a family, especially when the ass💟ets are significant, requires careful estate planning. Having an estate plan helps ensure your pr൲operty and money go to your beneficiaries with minimal tax implications.

Different types of trusts can help accomplish estate planning goals and objectives, but transferring large sums of money or other assets into these trusts at once can trigger gift taxes. Although strategies like 澳洲幸运5官方开奖结果体彩网:sprinkling, 澳洲幸运5官方开奖结果体彩网:Crummey power, or 澳洲幸运5官方开奖结果体彩网:five-and-five power, may help, they are not always the most optimal solution.

One alternative may be to establish a special type of trust known as an 澳洲幸运5官方开奖结果体彩网:intentional൩ly defective grantor trust (IDGT).

Key Takeaways

  • The purpose of 澳洲幸运5官方开奖结果体彩网:estate planning is to ensure that when someone dies, their property and money go to their beneficiaries with as minimal an impact from estate and gift taxes as possible.
  • An intentionally defective grantor trust (IDGT) can help protect your assets from estate and gift taxes.
  • While assets in an IDGT are not taxed for gift or estate purposes, the grantor must pay income tax on the revenue the trust generates.
  • The IDGT allows the assets to grow tax-free and avoid gift taxation for beneficiaries.

How an Intentionally🍬 D🦂efective Grantor Trust (IDGT) Works

The IDGT is an 澳洲幸运5官方开奖结果体彩网:irrevocable trust that has been designed so that any assets or funds that are put into the trust are not taxable to the grantor for gift, estate, generation-skipping transfer tax, or trust purposes. However, the grantor of the trust must pay the income tax on any revenue generated by the assets in the trust. This feature is essentially what makes the trust “defective,” as all of the income, deductions, and/or credits that come from the trust must be reported on the grantor’s 澳洲幸运5官方开奖结果体彩网:Form 1040 as if they were their own. However, because the grantor must pay the taxes on all trust income annually, the assets in the trust are allowed to grow tax free, and thereby avoid 澳洲幸运5官方开奖结果体彩网:gift taxation to the grantor’s beneficiaries.

For all practical purposes, the trust is invisible to the 澳洲幸运5官方开奖结果体彩网:Internal Revenue Service (IRS). As long as the assets are sold at 澳洲幸运5官方开奖结果体彩网:fair market value, there will be no reportable gain, loss, or gift tax assessed on the sale. There will also be no income tax on any payments made to the grantor from a sale. But many grantors opt to convert their IDGTs into complex trusts, which allows the trust to pay its own taxes. This way, they do no🅷t have to pay them out of pocket each year🎃.

Important

Federal law provides an estate tax lifetime exemption that allows individuals to transfer up to $13.99 million tax free to 澳洲幸运5官方开奖结果体彩网:beneficiaries in 2025, up from $13.61 million in 2024. But that exemption could be cut to as little as $7 million when the Tax Cuts and Jobs Act expires in 2026.

What Type of Assets Should Be Transferred Inꦇto an Intentionally Defective Grantor Trust?

While there are many different types of assets that may be used to fund a defective trust, limited partnership interests offer discounts from their face values that substantially increase the tax savings realized by their transfer.

For the purpose of the gift tax, 澳洲幸运5官方开奖结果体彩网:master limited partnership assets are not assessed at their fair market values, because limited partners have little or no control over the partnership or how it is run. Therefore, a valuation discount is given. Discounts are also given for private partnerships that have no liquid market. These discounts can be 35%–45% of the value of the partnership.

How to Transfer Assets Into the Trust

One common method to transfer assets into an IDGT involves combining a modest gift with an 澳洲幸运5官方开奖结果体彩网:installment sale. For example, the🎶 grantor may gift 10% of the asset's value into the trust, while the remaining 90% is sold to the trust on an installment basis.

Example: Reducing Taxable Estate

Frank Newman, a wealthy widower, is 75 years old and has a gross estate valued at more than $20 million. About half of that is tied up in an illiquid limited partnership, while the rest is composed of stocks, bonds, cash, and real estate. Obviously, Frank will have a rather large 澳洲幸运5官方开奖结果体彩网:estate tax bill unless appropriate measures are taken.ꩲ He would like to leave the bulk of his estate to his four children.

Therefore, Frank plans to take out a $5 million 澳洲幸运5官方开奖结果体彩网:universal life insurance policy on himself to cover the cost of estate taxes. The annual premiums for this policy will cost approximately $250,000 per year, but less than 30% ($72,000) of this cost ($18,000 annual gift tax exclusion for each child) will be covered by the gift tax exclusion. This means that $178,000 of the cost of the premium will be subject to gift tax each year. Of course, Frank could use a portion of his 澳洲幸运5官方开奖结果体彩网:unified credit exemption each year, but he has already established a 澳洲幸运5官方开奖结果体彩网:credit shelter trust arrangement that would be comprom♛ised by suchꦓ a strategy.

However, by establishing an IDGT, Frank can gift 10% of his partnership assets into the trust at a valuation far below their actual worth. The total value of the partnership is $9.5 million, so $950,000 is gifted into the trust to begin with. But this gift will be valued at $570,000 after the 40% valuation discount is applied. Then, the remaining 90% of the partnership will make annual 澳洲幸运5官方开奖结果体彩网:distributions to the trust. These distribu🏅tions will also receive the same discount, effectively lowering Frank’s taxable estate by $3.8 million. The trust will take the distribution, use it to make an interest payment to Frank, and ꦯcover the cost of the insurance premiums. If there is not enough income to do this, then additional trust assets can be sold to make up for the shortfall.

Frank is now in a winning position regardless of whether ♋he lives or dies. If the latter occurs, then the trust will own both the policy and the partnership, thus shielding them from taxation. But if Frank lives, then he has achieved an additional income of at least $178,000 to pay his insurance premiums.

What Makes a Grantor Trust Intentionally Defective?

The "defective" part of the intentionally defective grantor trust comes from the grantor still being responsible for paying the 澳洲幸运5官方开奖结果体彩网:income tax on the trust's earnings, even though the trust’s assets are removed from the grantor’s taxable estate. This arrangement allows the assets in the trust to grow without being subject to estate or gift taxes, effectively transferring wealth to the beneficiaries.

What Happens to an Intentionally Defective Grantor Trust After the Death of the Grantor?

If the assets were sold into the IDGT, they are not included in the taxable estate and can be passed on to the beneficiaries. But if an installment note for the sale of assets has not yet been paid off, the principal and any accumulated interest as of the date of death are included in the grantor’s taxable estate.

What Is a Spousal Lifetime Access Trust?

A spousal lifetime access trust (SLAT) is a type of intentionally defective grantor trust that makes the grantor’s spouse a current beneficiary and makes the assets in the trust available to the spouse without being included for estate tax purposes. The advantage is that a 澳洲幸运5官方开奖结果体彩网:married couple can reduce their future estate tax liability and have some access to the assets they have transferred to the SLAT.

The Bottom Line

An intentionally defective grantor trust can be a valuable tool for transferring wealth from one generation to the next in a family without incurring high estate taxes. But they are complex and should be structured with the assistance of a qualified 澳洲幸运5官方开奖结果体彩网:accountant澳洲幸运5官方开奖结果体彩网:certified financial planner (CFP), or an 澳洲幸运5官方开奖结果体彩网:estate planning attorney.

Article Sources
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  1. The Tax Adviser. “.”

  2. The Tax Adviser. “.”

  3. Cornell Law School, Legal Information Institute. “♒.”

  4. Internal Revenue Service. “.”

  5. Charles Schwab. “.”

  6. Wolters Kluwer. “.”

  7. Forbes. “.”

  8. Internal Revenue Service. “.”

  9. Smith & Howard. “.”

  10. Rivkin Radler Attorneys at Law. “”

  11. BNY Mellon Wealth Management, via ᩚᩚᩚᩚᩚᩚ⁤⁤⁤⁤ᩚ⁤⁤⁤⁤ᩚ⁤⁤⁤⁤ᩚ𒀱ᩚᩚᩚInternet Archive ꦚWayback Machine. “.”

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