Sale To An IDIT For A Note: The Best Transfer Tax Strategy (Gimmick) Going Michael D. Mulligan BKD Leadership Conference June 18, 2015.

Slides:



Advertisements
Similar presentations
Business Continuation Planning.  Is the business readily marketable?  Can the assets be easily converted to cash for the benefit of your family?  Is.
Advertisements

The Federal Gift and Estate Tax And Financial Planning  Terminology  Outline of the Federal Estate and Gift Tax  Sample Problem  Life Insurance and.
Slide 7-1 Assignments For next class: Problems: C4-33, C4-34, C4-35, C4-37, C4-38, C4-40, C4-41, C4-42.
Revenue Ruling , issued April 1, 2009, effective August 26, 2009 AND Revenue Ruling , Issued May 1, NEW RULES ON TAXATION OF THE SALE.
1 WEALTH MIGRATION USING THE FAMILY LIMITED PARTNERSHIP, CHARITABLE REMAINDER TRUST AND GRANTOR TRUST IMCA INVESTMENT MANAGEMENT EXPO Consulting in Volatile.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 13 Business Liquidations and.
© Julius H. Giarmarco, Esq KEEPING THE FAMILY BUSINESS IN THE FAMILY Prepared by: Julius H. Giarmarco, Esq. Cox, Hodgman & Giarmarco, P.C. 101 W.
WHAT CORPORATE COUNSEL NEEDS TO KNOW ABOUT TRUSTS & ESTATES ACC – Charlotte Chapter Jessica Mering Hardin Heidi E. Royal Robinson Bradshaw & Hinson, P.A.
GRATS Presented by: Michael W. Halloran CFP ®, AEP, ChFC ®, CLU ® March 4, 2008 The Estate Planning Council of the Fun Coast Palm Coast, Florida.
Unit 8, part 4 Complex Estate Planning and Tax issues Economic Growth and Tax Relief Reconciliation Act.
The Train is Leaving the Station Estate Planning in 2012 October 10, 2012 William L. Montague Frost Brown Todd LLC 3300 Great American.
Paying for Large Insurance Premiums Daniel Capobianco, J.D. and Ron Ware, J.D. June 17,
©2015, College for Financial Planning, all rights reserved. Session 11 Charitable Transfer Techniques CERTIFIED FINANCIAL PLANNER CERTIFICATION PROFESSIONAL.
 Gift Tax.  Why are gifts taxed? o Gifts were made to avoid estate taxes o Gifts were made to avoid income taxes o Taxes in general are for social welfare.
© 2007 ME™ (Your Money Education Resource™) 1 Estate Planning for Financial Planners Chapter 8: Trusts.
© 2004 ME™ (Your Money Education Resource™) 1 Estate Planning Chapter 13: Generation Skipping Transfers.
CORPORATIONS: DIVIDENDS, RETAINED EARNINGS, AND INCOME REPORTING CHAPTER 15.
4-1 ©2011 Pearson Education, Inc. Publishing as Prentice Hall.
Module 14 Transactions Between a Corporation and Its Shareholders.
Diana S.C. Zeydel, National Chair Trusts and Estates Greenberg Traurig, P.A
MODULE 19 Computing Gain or Loss on Disposition of Assets.
Generation-Skipping Transfer Tax Chapter 18 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 What is GSTT? Generation.
15-1 Individual Tax Consequences of Investment Activity  Timing issues in income recognition  Expenses related to investment activity  Tax basis of.
1 FIFTH ANNUAL GREATER KANSAS CITY FORUM ON CHARITABLE TAX STRATEGIES CHARITABLE TAX PLANNING TECHNIQUES IN BUSINESS SUCCESSION PLANS.
1 Fixing Common Problems with Life Insurance and Life Insurance Trusts Scott Gunderson James B. Hodge.
Chapter 8 Corporate Formation, Reorganization, and Liquidation Copyright © 2013 by The McGraw-Hill Companies, Inc. All rights reserved. McGraw-Hill/Irwin.
CHAPTER 2 Gross Income & Exclusions
S Corporation Chapter 46 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 An “S” Corporation is a corporation that.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 13 Chapter 13 Business Liquidations.
ECONOMIC TURMOIL PLANNING RX TAKING STEPS TO TAKE CONTROL Janice A. Forgays, J.D., CLU (Advanced Underwriter - June, 2009) CRN For education.
Chapter 13 Basis Adjustments to Partnership Property.
© 2007 ME™ (Your Money Education Resource™) Estate Planning for Financial Planners Chapter 7: Transfers During Life and at Death.
Chapter 2 Gross Income & Exclusions Income Tax Fundamentals 2011 edition Gerald E. Whittenburg Martha Altus-Buller Student’s Copy 2011 Cengage Learning.
Chapter 12 Partnership Distributions
Life Insurance in a Qualified Plan Chapter 13 Employee Benefit & Retirement Planning Copyright 2009, The National Underwriter Company1 What is it? Qualified.
Split Interest Charitable Trusts, Private Foundations and Donor Advised Funds Fran M. DeMaris Executive Vice President Cannon Financial Institute, Inc.
SO, YOU THINK YOU KNOW EVERYTHING ABOUT INCOME TAXATION OF LIFE INSURANCE? THINK AGAIN! Donald O. Jansen, J.D., LL.M.
Federal Income Tax Issues Chapter 19 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 General Scheme of Taxation:
CHARITABLE TAX PLANNING TECHNIQUES IN BUSINESS SUCCESSION AND WEALTH MIGRATION PLANS CASE STUDY EXAMPLES COMBINING FLP/CLT/CRT/ILIT/IDGT by Michael V.
Section 303 Stock Redemption Chapter 41 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 IRC Section 303 allows.
Freezing Techniques: Corporations and Partnerships Chapter 59 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 Any.
Gift Tax Case Involving Gifts of LLC units under IRC. §§ 2503 and Wasatch Business Valuation & Litigation Support Services, LLC
Preferred Stock Freeze Copyright 2005 Dwight Drake. All Rights Reserved. Business Planning: Closely Held Enterprises www. drake-business-planning.com Family.
4-1 ©2008 Prentice Hall, Inc ©2008 Prentice Hall, Inc. NONLIQUIDATING DISTRIBUTIONS  Nonliquidating distributions in general  Earnings and profits.
1 Chapter 10: Special Partnership Issues. 2 SPECIAL PARTNERSHIP ISSUES (1 of 2) n Nonliquidating distributions n §751 assets n Liquidating distributions.
Cash and Cash Equivalents Chapter 1 Tools & Techniques of Investment Planning Taxation of Benefits Chapter 21 Tools & Techniques of Life Insurance Planning.
Presented by: Chris Whitcomb. #NFIBLive » Don’t wait until it’s too late » Deal with family and employee concerns before they arise » Get professional.
Charitable Uses of Life Insurance Chapter 28 Tools & Techniques of Life Insurance Planning  What is it?  Transfer of cash, or other property to.
Personal Holding Company Chapter 45 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 A personal holding company.
©2015, College for Financial Planning, all rights reserved. Session 3 Valuation of Transferred Assets for Gift and Estate Tax CERTIFIED FINANCIAL PLANNER.
Irrevocable Life Insurance Trust Chapter 31 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 A vehicle for owning.
Cash and Cash Equivalents Chapter 1 Tools & Techniques of Investment Planning Life Insurance and the Generation-Skipping Transfer Tax Chapter 25 Tools.
Defective Trust Chapter 27 Tools & Techniques of Estate Planning Copyright 2011, The National Underwriter Company1 An irrevocable trust in which: –Transfers.
McGraw-Hill/Irwin Copyright (c) 2002 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Chapter 11 Dispositions of.
Chapter 17 Partnerships and S Corporations. Learning Objectives Determine the tax implications of a partnership formation Apply the operating rules for.
Desjardins Insurance refers to Desjardins Financial Security Life Assurance Company. Business Continuation Planning.
McGraw-Hill/Irwin Copyright (c) 2003 by the McGraw-Hill Companies Inc Principles of Taxation: Advanced Strategies Chapter 11 Dispositions of Equity Interests.
New Haven London Greenwich New York Geneva Hong Kong Milan 2012 Gifting – Funding Issues With Hard-to-Value Assets IRS required statement This document.
THE NEW BASIS CONSISTENCY AND BASIS REPORTING RULES
Chapter 13 Basis Adjustments to Partnership Property
Corporate Formation, Reorganization, and Liquidation
Chapter 22 S corporations.
Principles of Taxation
Corporate Formation, Reorganization, and Liquidation
When “Income” isn’t Income. Or is it?
Chapter 12 Partnership Distributions
©2010 Pearson Education, Inc. Publishing as Prentice Hall
Form 706 ESTATE Tax Return Presented by:
Chapter 10: Special Partnership Issues
©2010 Pearson Education, Inc. Publishing as Prentice Hall
Presentation transcript:

Sale To An IDIT For A Note: The Best Transfer Tax Strategy (Gimmick) Going Michael D. Mulligan BKD Leadership Conference June 18, 2015

A.Grantor Trust Rules. B.1986 Changes in Rates and Income Taxation of Trust C.Defective Trust (IDIT). (i)Estate Tax Exclusion. (ii)Income Tax to Grantor (Rev. Rul ). (iii)Payment of Income Tax Not a Gift (Confirmed in Rev. Rul ). D.Fund by Gift. E.Move More into IDIT with a Sale. (i)Interest Rate. (ii)Frazee and True Hold Interest Determined under IRC Sec I. Historical Background

1.If total net return (appreciation + net income) exceeds interest on note, excess excluded from Seller’s estate. 2.Estate actually reduced if payments made on promissory note to provide funds to Seller to pay income taxes. II. Estate Planning Benefits

A.Any assets excluded from Seller’s estate can be insulated from generation-skipping tax. B.Should make a small gift to the IDIT and allocate GST exemption to the IDIT, in the amount of the gift. Sale will not change inclusion ratio, so long as value of assets sold does not exceed face amount of note. III. Generation-Skipping Tax

A.Fidelity-Philadelphia Trust Co. Case. B.Ten Percent Cushion (Minimum). C.Woelbing Cases (Karmazin). IV. Avoiding IRC Secs and 2702

A.Gift by Seller. (i)Gift Tax. (ii)Possible Decrease in Value. B.Guarantee by Beneficiary – no gift? C.Who should be Guarantor? What happens if property sold to IDIT decreases in value? (i)Guarantee by party other than Seller’s spouse. (ii)Guarantee by Seller’s spouse. V. What is Best Method of Furnishing Cushion?

A.S Corporation Stock. (i)Good candidate, because no income tax imposed at entity level. (ii)Potential retained vote problems under IRC Sec. 2036(b) avoided by recapitalizing and selling non-voting stock to IDIT. Seller’s retention of voting stock does not create IRC Sec. 2036(b) problems. VI.Different Kinds Of Assets To Be Utilized In Sale Transaction B.Marketable Securities and Cash. (i)Results generally not as good as with S Corporation stock. (ii)Consider utilizing LLC or limited partnership to produce valuation discount (see below).

VI.Different Kinds Of Assets To Be Utilized In Sale Transaction - Continued C.Limited Partnership. (i)Seller might contribute marketable securities and cash in exchange for limited partnership interest, and sell limited partnership interest to IDIT at a discounted price. (ii)Seller should not retain general partnership interest. D.Limited Liability Company. (i)Seller might contribute marketable securities and cash in exchange for non-voting membership interests and sell non-voting membership interests to IDIT at a discounted price. (ii)Seller should not retain voting membership interest.

VII.Formula Transfers A.Rather than describing interest sold as a number of shares of corporate stock or units or percentage interest of partnership or LLC, describe interest sold as a dollar amount, e.g. “that number of shares having a value equal to $X.” B.Theory is that if IRS adjusts value upwards, formula operates to reduce interest transferred to keep the value transferred at $X. C.Tax Court’s decision in Wandry indicates that these types of clauses are effective against IRS argument and that they are contrary to public policy in the enforcement of the gift tax law.

VIII.Reporting Sale on Gift Tax Return A.Seller should consider reporting sale transaction on a gift tax return, which takes the position that the sale does not constitute a gift because the note represents full and adequate consideration. (i)If adequately disclosed, three-year statute of limitations precludes subsequent challenge by IRS. (ii)A strong argument can be made that statute of limitations also precludes IRS argument that assets sold are includable under IRC Sec. 2036(a), i.e., as a retained income interest.

VIII.Reporting Sale on Gift Tax Return - Continued (iii)If Seller retained an “interest” in the IDIT, no value would be assigned to promissory note under IRC Sec. 2702, and the gift would be the full value of the assets sold. (iv)If no gift under IRC Sec. 2702, there is no retained interest. There should also be no retained interest under IRC Sec. 2036(a). B.Guarantor might also file gift tax return reporting guarantee and taking position that guarantee does not constitute a gift. This conclusion is binding on IRS if a three-year statute of limitations runs on the return.

IX.Sale For An Annuity Terminating At Seller’s Death A.When annuity terminates at Seller’s death, nothing remains to be included in Seller’s estate. B.Terminal interest exception to use of IRS actuarial tables. C.Premium to avoid gift (amount determined under IRS actuarial tables). D.Exhaustion test must be considered. E.Exchange promissory note from an earlier sale for an annuity if Seller becomes ill. F.Measuring life not limited to Seller’s.