Sponsored By
Wealth Management Magazine features the best of WealthManagement.com, including news, trends, topics and research important to financial advisors.

The Generation-skipping Transfer Tax 2011-02-08The Generation-skipping Transfer Tax 2011-02-08

Time traveling with the GST tax in 2011 and beyond

1 Min Read
Wealth Management logo in a gray background | Wealth Management

CARLYN S. MCCAFFREY & PAM H. SCHNEIDER

During 2010, Internal Revenue Code Section 26641 and Section 901 of the Economic Growth and Tax Relief Reconciliation Act of 2001 (the 2001 Act) caused considerable confusion as to how the generation-skipping transfer (GST) tax would be applied in 2010 and beyond. The uncertainties for 2010 were finally resolved by the enactment on Dec. 17, 2010 of the Tax Relief, Unemployment Insurance Reauthorization and Job Creation Act of 2010 (the 2010 Act). Unfortunately, the 2010 Act simply postponed many of the uncertainties until 2013.

We will first look at GST tax planning opportunities that were available in 2010 and then examine the ways in which IRC Chapter 13 (called “Tax on Generation-Skipping Transfers”) works in 2011 and 2012 (and could work after 2012 if Congress, by inaction, permits the sunset provisions to apply). We will then discuss the need to review and possibly revise existing estate planning documents that define bequests and distributions with reference to terms defined in Chapter 13. Finally, we will consider the advisability of current action to take advantage of what may be a temporary low GST tax rate and a temporary high GST tax exemption.


To continue reading, click here.

About the Authors

Carlyn S. McCaffrey

Partner, McDermott Will & Emery LLP

 

Carlyn S. McCaffrey is a partner in the law firm of McDermott Will & Emery LLP and is co-head of the private client practice in the Firm’s New York office. Carlyn frequently lectures on subjects relating to tax law, trusts and estates, foreign trusts and matrimonial law. She also writes extensively on these topics, and is the co-author of “Structuring the Tax Consequences of Marriage and Divorce” Carlyn is a fellow and a past president of the American College of Trust & Estate Counsel, a fellow of the American College of Tax Counsel, a member of the International Academy of Trust & Estate Counsel and a member of the Joint Editorial Board for Uniform Trust and Estate Act of the National Conference of Commissioners on Uniform Laws.