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Deceased Spousal Unused Exclusion 0. Background  Tax Relief, Unemployment Insurance Reauthorization and Job Creation Act of 2010 (§303(a)) - Allows portability.

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Presentation on theme: "Deceased Spousal Unused Exclusion 0. Background  Tax Relief, Unemployment Insurance Reauthorization and Job Creation Act of 2010 (§303(a)) - Allows portability."— Presentation transcript:

1 Deceased Spousal Unused Exclusion 0

2 Background  Tax Relief, Unemployment Insurance Reauthorization and Job Creation Act of 2010 (§303(a)) - Allows portability of any unused basic exclusion amount to a surviving spouse - Applies to decedents after 2010 - Timely election made by executor on estate tax return - Made permanent by American Taxpayer Relief Act of 2012 1

3 Highlights  §§20.2010-1T, 2T, 3T - Executor must file a timely & complete return Relief available - May estimate values - DSUE may not be reduced if Congress later reduces the basic exclusion amount - Prior taxable gifts not factored into DSUE - DSUE available day after DOD - Surviving spouse gifts from DSUE first - Last deceased spouse - GST Exemption not portable 2

4 Portability Decision  Major Factors - Client considerations - State law - Trust vs. No Trust - Family concerns - Asset protection - Basis - Complexity 3

5 Flexible Options  Disclaimer Approach - Surviving spouse disclaims to a bypass trust - Advantages Flexible Simple - Disadvantages Spouse may refuse outright Spouse may not give up full ownership Spouse cannot retain a limited power of appointment Spouse cannot accept benefits Spouse dies before disclaiming 4

6 Flexible Options Continued  QTIP Approach - Full QTIP election with portability Reverse QTIP election utilizes decedent’s GST exemption - Partial QTIP election with “Clayton” provision & bypass trust Be aware of spouse acting as executor - Advantages Have 15 months to decide Spouse can retain a limited power of appointment - Disadvantages Complexity 5

7 Other Options  Gift by surviving spouse - Up to DSUE amount - Coordinate with ‘reverse QTIP’  Deemed gift under §2519 - Gift income interest of QTIP - Results in deemed gift of remainder interest  Supercharged Credit Shelter Trust 6

8 Final Considerations  Review documents - Address portability  Consider ‘Trust Protector’  Surviving spouse as executor  Cost of filing  Financial Impact 7

9 Disclaimer The information contained herein is general in nature and based on authorities that are subject to change. McGladrey & Pullen, LLP guarantees neither the accuracy nor completeness of any information and is not responsible for any errors or omissions, or for results obtained by others as a result of reliance upon such information. McGladrey & Pullen, LLP assumes no obligation to inform the reader of any changes in tax laws or other factors that could affect information contained herein. This publication does not, and is not intended to, provide legal, tax or accounting advice, and readers should consult their tax advisors concerning the application of tax laws to their particular situations. Circular 230 Disclosure This analysis is not tax advice and is not intended or written to be used, and cannot be used, for purposes of avoiding tax penalties that may be imposed on any taxpayer. McGladrey is the brand under which McGladrey & Pullen, LLP serves clients’ business needs. McGladrey & Pullen, LLP is the U.S. member of the RSM International (“RSMI”) network of independent accounting, tax and consulting firms. The member firms of RSMI collaborate to provide services to global clients, but are separate and distinct legal entities which cannot obligate each other. Each member firm is responsible only for its own acts and omissions, and not those of any other party. McGladrey, the McGladrey signatures, The McGladrey Classic logo, The power of being understood, Power comes from being understood and Experience the power of being understood are trademarks of McGladrey & Pullen, LLP. © 2012 McGladrey & Pullen, LLP. All Rights Reserved. McGladrey LLP www.mcgladrey.com


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