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This page contains a single entry by Associate Editor published on May 15, 2011 11:21 AM.

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Tax Notes Article, "IRS rules on proposed severance, renunciation of marital trust"

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IRS has ruled that the proposed severance of a martial trust into two separate trusts won't disqualify any of them as qualified terminable interest property trusts, and it has ruled on the gift and income tax consequences of the husband's renunciation of his interests in one of the trusts and the subsequent termination of that trust.

 

2011 TNT 89-62

 

Posted by Adam Fleischer, Associate Editor, Wealth Strategies Journal

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