A 'sale to a defective grantor trust' can pass significant potential appreciation to the grantor's heirs free of gift tax.
A 'sale to a defective grantor trust' can pass significant potential appreciation to the grantor's heirs free of gift tax.
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This document, dated April 29, 2013, is a technical analysis of proposed changes to U.S. tax laws affecting sophisticated estate planning techniques. It details proposals to eliminate the benefits of 'sales to defective grantor trusts', extend estate tax liens, and curb the use of Health and Education Exclusion Trusts (HEETs) by clarifying the rules for the Generation-Skipping Transfer tax. The document carries a Bates number suggesting it was collected as part of a House Oversight committee file.
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