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An Introduction to Trusts. Ian Watson, TEP Barrister and New York Attorney STEP Cross-Border Estates Group. Presentation to STEP Hungary 2013 Conference Budapest 11 June 2013. 3 Stone Buildings, Lincoln's Inn, London WC2A 3XL, England tel: +44 (20) 7242 4937 fax: +44 (20) 7405 3896
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An Introduction to Trusts Ian Watson, TEPBarrister and New York AttorneySTEP Cross-Border Estates Group Presentation to STEP Hungary 2013 Conference Budapest 11 June 2013 3 Stone Buildings, Lincoln's Inn, London WC2A 3XL, Englandtel: +44 (20) 7242 4937 fax: +44 (20) 7405 3896 10 Rockefeller Plaza, 16th floor, New York, NY 10020-1903, USAtel: +1 (212) 713 7680, fax: +1 (212) 713 7679 www.3stonebuildings.com
Overview Welcome to STEP – a few words about C-BEG What is a Trust? Why Use a Trust? Are Trusts Secret? Trusts and Tax International Trends in Trusts The Future
1. STEP and C-BEG The Society of Trust and Estate Practitioners Cross-Border Estates Group
2. What is a Trust? No single law of trusts – different rules in England, Scotland, Ireland, each of the United States, former British colonies in the Caribbean, Canada, Australia, Hong Kong, Singapore, the Channel Islands, etc. A structure to provide for family, continuing ownership and management of assets and succession Also business and commercial uses Not a separate legal entity, rather a relationship among a Settlor, one or more Trustees and one or more Beneficiaries
Typical Trust Trustee Settlor Trust net income interest dividends £ Beneficiary right to occupy House Shares Cash
Traditional Features of a Trust Legal ownership by Trustee Trustee has fiduciary duty to act only in the interest of the Beneficiaries Trustee may only invest in specified types of conservative assets Trustee may have wide discretion to decide amounts distributed Successive or overlapping beneficial interests (e.g., life interests v. remainders) Restrictions on Beneficiary’s right to alienate interest Limited duration – the Rule Against Perpetuities
Rule Against Perpetuities “An interest must vest or fail to vest within lives in being at the time it is created plus 21 years” Notoriously difficult to apply – and harsh result Modified or abolished in many jurisdictions: Fixed term: e.g., 80/90/100/150 years, etc., or Unlimited duration Limit generally did not apply to trusts with only charitable purposes
3. Why Use a Trust? A variety of personal and commercial uses Flexibility and administrative convenience
Pension Trust Employer (Settlor) Trustee Pension Fund (Trust) income dividends interest Retired Employees (Beneficiaries) £ Shares Cash
Charitable Trust Donors (Settlors) Trustee Trust income dividends interest Charitable Causes (Beneficiaries) £ Shares Cash
Discretionary Trust for Family Trustee Settlor Trust income interest dividends £ Settlor’s widow and children (Beneficiaries) right to occupy House Shares Cash
Life Interest Trust for Spouse Trustee Settlor Trust net income Settlor’s widow (Income Beneficiary) right to occupy interest dividends death of widow £ Settlor’s children (Remainder Beneficiaries) capital House Shares Cash
More Specific Provisions [1] Settlor’s widow to receive net income during her life death of widow Settlor’s children to receive income at the Trustee’s discretion until they reach age 21, then to receive net income. To receive capital at age 35 / 50, etc., or death of children Settlor’s grandchildren to receive capital at parent’s death
More Specific Provisions [2] Settlor’s widow to receive net income during her life death of widow (divide capital into equal shares for children) Child X to receive income from his share at the Trustee’s discretion for life. Settlor’s other children to receive their share of capital at widow’s death. death of child X Settlor’s grandchildren by Child X to receive their share of capital at Child X’s death
Additional Discretion Trustee or a Beneficiary may be allowed to deviate from default terms to meet unexpected situations Trustee’s overriding power of appointment Beneficiary’s power of appointment
4. Are Trusts Secret? Confidential, but not secret Creation or existence of a trust may need to be disclosed (particularly if “off-shore”) Generally, details can be kept private (but wills may be in public record) “[T]he obligation to keep taxpayer information confidential and only release it in accordance with the law is a fundamental principle.” (Engaging with High Net Worth Individuals on Tax Compliance, OECD, May 2009, p. 53).
5. Trusts and Tax Not a vehicle for avoidance and hiding from tax authorities Extensive disclosure requirements and tax costs for “offshore” arrangements Many different tax systems, but a general principle is to try to make trusts “tax neutral” – i.e., taxed the same as if there were no trust Some tax advantages may remain, depending on context and jurisdiction
Discretionary Trust for Family Trustee Settlor Trust income interest dividends £ Settlor’s widow and children (Beneficiaries) right to occupy House Shares Cash
Typical UK Will Trusts Estate Nil Rate Band Discretionary Trust £325,000 Life interest Trust For Spouse Balance of estate Death of spouse Inheritance tax paid on death of spouse Trust(s) for children,then grandchildren
Discretionary Trust for Family Trustee Settlor Trust income interest dividends £ Settlor’s widow and children (Beneficiaries) right to occupy House Shares Cash
6. International Trends in Trusts The Hague Trusts Convention XXX of 1st July 1985 In force: Australia Canada (other than Ontario & Quebec) Italy Liechtenstein Luxembourg Malta Monaco The Netherlands San Marino Switzerland United Kingdom Not yet in force: China Cyprus France United States
7. The Future Growing popularity Increased international recognition Unpredictable changes in tax laws
For more information please contact: Ian Watson, TEP 3 Stone Buildings Lincoln’s Inn London WC2A 3XL England Tel: +44 (20) 7242 4937 Email: iwatson@3sb.law.co.uk DX 317 Chancery Lane 3 Stone Buildings, Lincoln's Inn, London WC2A 3XL, Englandtel: +44 (20) 7242 4937 fax: +44 (20) 7405 3896 10 Rockefeller Plaza, 16th floor, New York. NY 10020-1903, USAtel: +1 (212 ) 713 7680, fax: +1 (212) 713 7679 3stonebuildings.com