Navigating Gift Tax and QTIP: A Landmark Case

Cases, Estate Administration, Estate and Gift Tax, Estate Planning, Fiduciaries, Revenue Rulings, Tax, Tax Court

In a recent decision, the Tax Court addressed the complexities of gift tax and qualified terminable interest property (“QTIP”) rules, providing important insights for estate planning professionals and taxpayers alike.[1] The case centered on the interpretation of provisions related to the taxation of transfers between spouses, and in this context, termination of QTIP interests and…
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Excluding Gain on the Sale of Your Principal Residence

Income Tax, Tax

Under IRC §121, gain on the sale of a principal residence of up to $250,000 (or $500,000 for spouses, see below) may be excluded from gross income. This may seem pretty straightforward, and many times it is, but it also has numerous requirements in order to apply, as well as numerous exceptions that may apply.…
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The 2024 Dirty Dozen – The IRS’s Annual Warning

Compliance, Current Events, Employment Tax, Income Tax, Regulatory, Tax, Tax Controversy

Every year, the Internal Revenue Service (“IRS”) releases its “Dirty Dozen.” The Dirty Dozen, as written previously about by my colleague, Devin Mills,[1] is a list of twelve prevalent scams the IRS bodes taxpayers to be weary of during tax season, as they “put taxpayers, businesses, and the tax professional community at risk of losing…
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Intentionally Defective Grantor Trusts – Have your cake and eat it, too

Estate and Gift Tax, Estate Planning, Income Tax, Revenue Rulings, Tax

Shortly before his passing, Benjamin Franklin uttered one of his more infamous quotes, “In this world, nothing is certain except death and taxes.” With the certainty of death implicitly comes another: everyone will transfer his or her wealth, whether in life or after death. How a person transfers wealth will affect how the other certainty,…
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