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| nomail1983[at]hotmail.com wrote: - quote - > One conclusion might be that there is no single standard for
I think that's right. There is no legal definition of> the application of those terms, or that the standard (if > any) in Calif differs from some other parts of the nation. > (But Nolo Press is usually very good in pointing out such > differences and in singling out Calif in particular.) "trust A" or "trust "B." Look at the trust and the rights it gives, not what it is called. - quote - > However, the Nolo Press author wrote: "[T]he IRS is
Everyone is familiar with the terminology. But legally it> familiar with the Trust A and Trust B terminology". has no specified meaning. - quote - > Does the IRS expect "Trust A" to refer to the deceased
They don't care what you call it, they care what it's> spouse's trust, for example, as the Nolo Press book does? written to do. - quote - > If so, can someone cite an IRS code or regulation section
I am not aware that they use those terms in any technical> where the terminology is used in that way? sense, such as regulations. In Treas. Reg. 26.2632-1 they seem to use the terms in an example to mean the first trust referred to and the second trust referred to. The B trust there is a generation skippping transfer trust. In §1.664-1 Trust B is a charitable remainder trust. - quote - > And in deference to the "common" application of those terms
I have been unable to find any reference to these terms in> to the contrary by Calif attorneys, I wonder: is there any > Calif law that uses those terms consistently in one manner > or another? California law. Stu << ================================================== ===== > << The foregoing was not intended or written to be used, > << nor can it used, for the purpose of avoiding penalties > << that may be imposed upon the taxpayer. > << > << The Charter and the Guidelines for submitting posts > << to this newsgroup as well as our anti-spamming policy > << are at www.asktax.org. > << Copyright (2006) - All rights reserved. > << ================================================== ===== > |
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#2
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| Previously I wrote: - quote - > Is there a standard for AB trust terminology? In
Some respondents questioned the use of the terms "Trust A"> particular, should "Trust A" always refer to the deceased > spouse's trust, and "Trust B" always refer to the surviving > spouse's trust? and "Trust B" altogether. The trust was written several years ago by a Calif attorney who has been practicing estate planning law in the state for 36 years. In a letter, he wrote: "The enclosed Trust is a classic exemption Trust, with Trust A containing the Surviving Spouse's share [of property] and Trust B containing assets equal to the Deceased Spouse's exemption." Indeed, the titles of the subtrusts are "The [names] Estate Planning Trust A -- Survivor's Trust" and "The [names] Estate Planning Trust B -- Decedent's Trust". The trust was reviewed recently by a Calif attorney who has been practicing estate planning law in the state for 42 years. In a letter, he wrote: "Upon the death of your late husband, the Trust was divided between Trust A, which is commonly referred to as a Survivor's Trust, and Trust B, which is commonly referred to as an Exemption Trust". That "common" application of the terms Trust A and Trust B is at odds with the application of those terms in a Nolo Press book [1], as well as in the model trust documents therein. One conclusion might be that there is no single standard for the application of those terms, or that the standard (if any) in Calif differs from some other parts of the nation. (But Nolo Press is usually very good in pointing out such differences and in singling out Calif in particular.) However, the Nolo Press author wrote: "[T]he IRS is familiar with the Trust A and Trust B terminology". That caused me to wonder if the IRS uses the terms Trust A and Trust B itself, and if so, if the IRS uses those terms consistently in one particular manner or the other. Hence my questions, which have not been addressed by anyone so far, to wit.... Does the IRS expect "Trust A" to refer to the deceased spouse's trust, for example, as the Nolo Press book does? If so, can someone cite an IRS code or regulation section where the terminology is used in that way? And in deference to the "common" application of those terms to the contrary by Calif attorneys, I wonder: is there any Calif law that uses those terms consistently in one manner or another? ----- [1] "Make Your Own Living Trust", Denis Clifford, Nolo Press, 2005. << ================================================== ===== > << The foregoing was not intended or written to be used, > << nor can it used, for the purpose of avoiding penalties > << that may be imposed upon the taxpayer. > << > << The Charter and the Guidelines for submitting posts > << to this newsgroup as well as our anti-spamming policy > << are at www.asktax.org. > << Copyright (2006) - All rights reserved. > << ================================================== ===== > |
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#1
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| "cballard[at]tyyni.net" <cballard[at]tyyni.net> wrote: - quote - > nomail1983[at]hotmail.com wrote:
I've been perparing trusts for people for more than 25> > Is there a standard for AB trust terminology? In > > particular, should "Trust A" always refer to the deceased > > spouse's trust, and "Trust B" always refer to the surviving > > spouse's trust? > At least in this part of the country (Michigan), the Trust A > and Trust B terminology is about 15 years out of date. > Almost every document using this arrangement that I see > these days uses "Marital Trust" and "Family Trust". The > added bonus is that the terms are more descriptive. You > will still hear lawyers talking about this type of a > arrangement as an "AB Trust", but no one actually uses those > terms in the trust document anymore. years, and I've never used the "A-B" terminology. It was always Marital Trust, Survivor's Trust, QTIP Trust. It was only a few years ago when I went to someone else's seminar that I learned which is which - Trust A contains the property of the spouse who is (A)bove ground, and Trust B contains the property of the spouse who is (Below) ground. Stu << ================================================== ===== > << The foregoing was not intended or written to be used, > << nor can it used, for the purpose of avoiding penalties > << that may be imposed upon the taxpayer. > << > << The Charter and the Guidelines for submitting posts > << to this newsgroup as well as our anti-spamming policy > << are at www.asktax.org. > << Copyright (2006) - All rights reserved. > << ================================================== ===== > |
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| nomail1983[at]hotmail.com wrote: - quote - > Is there a standard for AB trust terminology? In
At least in this part of the country (Michigan), the Trust A> particular, should "Trust A" always refer to the deceased > spouse's trust, and "Trust B" always refer to the surviving > spouse's trust? and Trust B terminology is about 15 years out of date. Almost every document using this arrangement that I see these days uses "Marital Trust" and "Family Trust". The added bonus is that the terms are more descriptive. You will still hear lawyers talking about this type of a arrangement as an "AB Trust", but no one actually uses those terms in the trust document anymore. --Chris Ballard << ================================================== ===== > << The foregoing was not intended or written to be used, > << nor can it used, for the purpose of avoiding penalties > << that may be imposed upon the taxpayer. > << > << The Charter and the Guidelines for submitting posts > << to this newsgroup as well as our anti-spamming policy > << are at www.asktax.org. > << Copyright (2006) - All rights reserved. > << ================================================== ===== > |
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#-1
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| Is there a standard for AB trust terminology? In particular, should "Trust A" always refer to the deceased spouse's trust, and "Trust B" always refer to the surviving spouse's trust? That is the terminology that the author of a Nolo Press book uses [1], as do some online sources. However, at least two online sources reverse the terminology [2], using "Trust A" to refer to the surviving spouse's trust, for example. On the other hand, the Nolo Press author states: "[T]he IRS is familiar with the Trust A and Trust B terminology". Does that mean that the IRS expects "Trust A" to refer to the deceased spouse's trust, for example? If so, can someone cite an IRS code or regulation section where the terminology is used in that way? I have been sifting through IRR part 20, to no avail. Sigh, the links in the results of the CFR search engine do not seem to work for me. PS: If there is no nationwide standard terminology, is there at least a standard for California? If so, on what do you base the fact that it is standardized? For example, can you cite a Calif code or regulation section where the terminology is used in a particular way? Again, I have been sifting through Calif code myself, to no avail. ----- [1] "Make Your Own Living Trust", Denis Clifford, 2005 [2] http://www.savewealth.com/planning/e...ingtrusts.html http://www.csus.edu/giving/outlookdo...2ab%20trust%22 << ================================================== ===== > << The foregoing was not intended or written to be used, > << nor can it used, for the purpose of avoiding penalties > << that may be imposed upon the taxpayer. > << > << The Charter and the Guidelines for submitting posts > << to this newsgroup as well as our anti-spamming policy > << are at www.asktax.org. > << Copyright (2006) - All rights reserved. > << ================================================== ===== > |
| Tags |
| irs, terminology, trust |
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