Transfers to noncitizen spouses /
"... addresses tax planning for gratuitous transfers of property to a spouse who is not a U.S. citizen. Since 1988, the estate and gift tax marital deductions have been disallowed by [sections] 2056(d) and 2523(i) for transfers of property to a spouse who is not a U.S. citizen. Such transfers,...
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Previous Title: | Siegler, Douglas L. Transfers to noncitizen spouses. |
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Main Author: | |
Corporate Author: | |
Format: | Book |
Language: | English |
Published: |
Arlington, VA :
Tax Management,
c2011-
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Series: | Tax management portfolios ;
842-2nd |
Subjects: | |
Online Access: | http://taxandaccounting.bna.com/btac/display/link_res.adp?lt=email&fname=tm_842&split=1 |
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Table of Contents:
- Detailed analysis. Introduction
- Disallowance of federal estate tax marital deduction
- Qualification as a QDOT
- When is qualification as a QDOT determined?
- Provisions for reformation
- Transfers by the surviving spouse of outright bequests and nonprobate property to a QDOT
- Special rules for nonassignable annuities and other arrangements
- Taxation of QDOTs
- Death of the noncitizen surviving spouse
- Federal gift tax on transfers to noncitizen spouses
- Effect of changes in the federal gift and estate tax marital deduction on U.S. tax treaties
- Effective date provisions
- Planning for the marital deduction for noncitizen spouses
- Table of worksheets