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Results: 1-10 of 162

Favorable "DING trust" rulings PLRs 201310002 201310006

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • May 1 2013

In five related rulings, the IRS issued favorable holdings addressing the income and gift tax consequences of so-called "DING trusts." The acronym

Late GST exemption allocation PLR 201313003

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • May 1 2013

The IRS exercised its discretion to allow a taxpayer to make a late allocation of GST exemption. Over a six-year period, the taxpayer made transfers

May interest rates for GRATs, sales to defective grantor trusts, intra-family loans and split interest charitable trusts

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • May 1 2013

The May 7520 rate for use with estate planning techniques such as CRTs, CLTs, QPRTs and GRATs is 1.2, which is a slight decrease from April's

Villareale v. Commissioner, T.C. Memo 2013-74

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • May 1 2013

The Tax Court determined the taxpayer was not entitled to a charitable contribution deduction for contributions she made to a public charity she

Like-kind exchange of life insurance policies PLR 201304003

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • May 1 2013

The IRS privately ruled that the exchange by an irrevocable trust of a second-to-die life insurance policy for a new first-to-die policy would

Estate of Giovacchini v. Commissioner, T.C. Memo 2013-27

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • March 8 2013

The Tax Court redetermined values for estate and gift tax purposes of a large parcel of more than 2,500 acres of land near Lake Tahoe, California

IRS seeks comment on rules for estate tax return filing extensions

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • March 8 2013

The Internal Revenue Service is seeking public comment on final regulations governing the extension of time to file estate tax returns, which allow

Estate of Kite v. Commissioner, T.C. Memo 2013-43

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • March 8 2013

The Tax Court held that a surviving spouse's sale of substantial entity interests to trusts for her children in exchange for a 10-year deferred

New Form 1041, U.S. Income Tax Return for Estates and Trusts for 2012, and instructions released

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • March 8 2013

The IRS has released a final version of the Form 1041, U.S. Income Tax Return for Estates and Trusts for 2012, and the corresponding instructions

PLR 201303003

  • Proskauer Rose LLP
  • -
  • USA
  • -
  • March 8 2013

The IRS privately ruled that a marital trust that qualified as a QTIP trust under Internal Revenue Code Section 2056(b)(7) would still qualify as