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Life insurance proceeds received by limited partnership not included in gross estate of insured limited partner
- Proskauer Rose LLP
- -
- USA
- -
- January 21 2010
In Private Letter Rulings 200947006 & 200948001, the IRS considered whether a series of transactions among a partnership, corporations and trusts which altered the ownership and beneficiary designations of two life insurance policies required inclusion of the policies in the insured’s estate
Tax Court finds that life insurance proceeds were estate tax includible on account of decedent’s retained incidents of ownership, that annuities were estate tax includible, and that estate was liable for failure to file timely penalty Estate of Coaxum v
- Proskauer Rose LLP
- -
- USA
- -
- August 5 2011
In Coaxum v. Commissioner, the Tax Court found that the decedent retained incidents of ownership in six life insurance policies, rendering their values includible in the gross estate, that the value of the annuities owned by the decedent was includible in the gross estate, and that the estate was liable for a failure to file timely penalty
IRS issues Revenue Ruling 2011-28
- Proskauer Rose LLP
- -
- USA
- -
- January 9 2012
On December 5, 2011, the IRS issued Revenue Ruling 2011-28, holding that a grantor's retention of the power, exercisable in a non-fiduciary capacity, to acquire a life insurance policy held in a trust by substituting other assets of equal value will not cause inclusion of the policy in the grantor's gross estate under IRC Section 2042, as long as certain guidelines are met
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- Firm Name - Proskauer Rose LLP

- Jurisdiction - USA

- Workarea - Private Client & Offshore Services

- Workarea - Insurance & Reinsurance

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