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This page contains a single entry by Associate Editor published on October 7, 2008 12:25 AM.

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Trust Conversion Will Not Trigger Realization of Gain or Loss

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The IRS issued a letter ruling concerning trust conversion to a total return trust on May 23. The ruling concluded that converting a trust to a total return trust could not trigger realization of gain or loss under section 1001 of the Internal Revenue Code.

Posted by Shannon Morris, Associate Editor, Wealth Strategies Journal

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