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Beneficiary is treated as an owner of a trust under Internal Revenue Code Section 678 — In Private Letter Ruling 200949012 (Dec. 4, 2009), the grantor proposed establishing a trust for the benefit of another individual. The beneficiary had two withdrawal rights:
- to withdraw or direct the net income and/or principal to be paid to him for his health, education, maintenance or support (HEMS); and
- a Crummey right to withdraw any property transferred
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