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Chapter 28 - Income Taxation of Trusts and Estates. (Subchapter J). INTRODUCTION. Trusts and Estates - separate taxable entities TI similar to individual - 1041 (OH) I.E., Forms, formula, vocabulalry conduit to B: similar to pship, S Corp - K-1 Distrib deduction reduces TI of Trust
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Chapter 28 - Income Taxation of Trusts and Estates (Subchapter J)
INTRODUCTION • Trusts and Estates - separate taxable entities • TI similar to individual - 1041 (OH) • I.E., Forms, formula, vocabulalry • conduit to B: similar to pship, S Corp - K-1 • Distrib deduction reduces TI of Trust • Dist to B’s taxable based on DNI
Uses of Trusts • Tax planning • financial goals • asset mngmt
E.g.,Types of Trusts (OH) • life insurance (irrevocable) • living (revocable) • minors • blind • QRP • Alimony • liquidating
This Chap - Ordinary Trusts • (not g’or, spec, alim, bankr, QRP) • Grantor trust: entity ignored for tax - 1 person • G (Grantor), B (Beneficiary), T (Trustee)
Definitions of Trust • 7701 reg (not code) • = arrangement by will or inter vivos: transfer • declaration by which T takes title to protect or conserve assets for B’s
Terms – Trust (Vocabulary) • grantor (settlor, donor) (G) • trustee (T), beneficiary (B) • corpus (assets transferred to trust) • income; income interest • remainder interest, reversionary interest • simple, complex, can change yr to yr • Sprinkling trust
complex - (1) not a simple trust (2) year of termination (because of corpus distribution) • simple = • (1) Required to distribute AI • (2) no B’s = charitable organization • (3) no distributions of corpus
Terms – Estate (more Vocabulary) • Definitions of Estate • purpose - collect & conserve assets, pay liabs distribute assets under will or law (intestacy)
Decedent • executor (trix) • administrator (trix) • B’s • probate
Form 1041 • Who must file • Estate: GI> 600 • Trust: any TI or, if none, GI>600 • & when - 15th day of 4th month
methods - choice • periods • estate: choice • trust - calendar (except tax exempt)
rates: compressed; CG, AMT, BIG • exemptions • est - 600 • tr - 300 (distrib all inc) (not same as simple trust • or tr - 100
Taxable Income • AI = accounting income = “income” in IRC = income inc B eligible to receive • GI - similar to individual • Basis - step up/down, c/o, cost • prop distribs - usually no G or L on distrib, DNI & DD = lesser of FMV or basis, election
IRD • IRD (Inc in Respect of Decedent) Cash basis - accrued salary, interest, rent etc • accrual basis + cash - QRP, deferred Comp
Ord deducs & losses • Ord deducs & losses: 2% rule (not 2% rule fiduc fees) (AGI used - greater of grantor or trust or estate as if individual) • apportion expenses to tax exempt (TE): TE/AI; AI = TE + GI possibly • cost recov - apportioned – proportionately to inc B’s
Charitable Contribution Deduction • year paid and if paid year following • limits: GI for year, apportioned • trust or will can specify from what income (avoid tax exempt)
Losses - CL & NOL • CL - in trust, indiv rules (3000/yr after netting CL & CG) until termination • NOL - in trust, CB & CF (2 & 20), indiv rules, until termination
Deduction for Distrb to B’s (DD) see chart in Chapter (OH) • DNI determines • TI b4 distrib = GI & deducs & exemps • modify TI b4 to det DNI • TI - DD = TI after distrib • DD = DNI - TE
Modifications: TI b4 DD to DNI • add back exemp • add back net tax exempt income • add back net CL • subtract net CG allocated to corpus
DNI/AI/DD - Recap • DNI based on TI maybe less than distribs based on AI • DNI = broad definition; economic term • AI = measure of that which can be distrib’d to income B’s • DNI = taxability of what B receives • DD = DNI - TE (tax exempt)
Complex Trust (& Estate) v. Simple Trust • with discretionary distributions • deduct (DD) lesser of deductible DNI or amount actually distributed • simple trust: • assume distribution & deduction in year required even if not made (ex 19)
Taxation of B’s • TI and character to B’s det’d by DNI; Timing - inclusion • Simple Trust: TI to B lim’d to DNI; DNI incl TE (tax exempt, so TI maybe<DNI) • Ests & Complex Tr (not covered in depth): 2 tiers - 1st: inc req’d to be distrib’d curr; 2nd: all other income
(1) tier 1 only distrib: 1st to B/1st to all x DNI = B DNI • (2) 1st & 2nd, 1st>DNI, same formula, no 2nd taxed • (3) 1st & 2nd, 1st<DNI, 1st & 2nd <DNI; 2nd to B/2nd to all x DNI remg after 1st = B DNI; DNI = max distrib, distrib<DNI then B rec = distrib for DD (ex 25)
Separate share rule (not covered in depth); (DNI alloc’d to sep share & remains there) EX 28) • (to prevent inequity in corpus payments)
Character of Income Flow Thru • B DNI / total DNI x total DNI element (e.g., tax exempt) • total distrib/total DNI x DNI element = total DNI element (if only portion of DNI distrib’d) (ex 29)
Losses - Year of Termination • NOL & CL not to B’s (CF) except term yr • at entity level normally, NOL CB 2 & CF 20 • CL CF indef (3000/yr) (indiv’s rule)
Throwback Computation • Beyond scope of this course • To discourage tax minimization by accumulating trust income • Computation: what would have owed if distributed earlier (DNI max) • Repealed for domestic trusts (97 new law)
Trust Deductions - Summary • Depreciation - Charitable - 212 - Trustee fees • (1) AI = income which inc B eligible to receive (if CG allocated to corpus, not in AI) • (2) other deducs and deprec can be allocated to corpus or income (by trust, will, or state law) p 27-15 ex 14-15 (2002 text)
(3) but for tax, deprec allocated to inc B’s • (4) also not allocated to corpus for tax: trustee fees & 212 exps p. 27-15 • (5) Charitable, 212, trustee fees reduced by tax exempt fraction - p 27-15; (TE/(TE + GI)) x deduc = allowable deduc; where GI + TE = AI
(6) And charitable deduction – will or trust can select income from which donat made (i.e., not tax exempt) to avoid reduction
(7) Adm exps if estate claimed on 706 (cannot be claimed on 1041; but can allocate between 706 & 1041; i.e., no double deduction • (8) but double deduc allowed for exps in respect of a decedent