Just when is the DSUE amount available to a surviving spouse or the estate of a surviving spouse for use in determining the surviving spouse’s applicable exclusion amount? Rule. The temporary ...
Recent blog posts discussed how the temporary portability regulations addressed several issues involved with making a valid portability election. This post discusses the temporary regulations’ rules ...
It’s mid-March, which, in the sports world, means picking winning teams for NCAA basketball tournament brackets and, in the estate-planning world, means preparing gift tax returns—an equally exciting ...
A recent Tax Court case serves as a warning for taxpayers attempting to use portability to claim a first-to-die spouse's remaining estate tax exemption amount. While the rules governing portability ...
The Tax Court denied an estate’s claim of a deceased spousal unused exemption (DSUE) amount, holding that the decedent’s predeceased spouse’s estate did not make a valid portability election (i.e., an ...
On Sept. 27, 2016, the Internal Revenue Service released Revenue Procedure 2016-49, providing new procedures for and limitations on treating as null and void a qualified terminable interest property ...
The Tax Court held that the IRS acted within its authority when examining the estate tax return of a predeceased spouse to determine the correct deceased spousal unused exclusion (DSUE) amount of the ...
The Internal Revenue Service has released final regulations on the portability of a deceased spousal exclusion amount for surviving spouses facing estate and gift taxes. Processing Content The final ...
Some results have been hidden because they may be inaccessible to you
Show inaccessible results