ESTATE OF CRISTOFANI V. COMMISSIONER
97 T.C. 74 (1991)
NATURE OF THE CASE: This is an appeal of a deficiency assessment. Estate (P) estate
sought review of the decision which disallowed exclusions under 26 U.S.C.S. 2503(b) for
payments by the estate to decedent's grandchildren.
FACTS: Settlor created a trust for the benefit of her two children and five
grandchildren. She intended to transfer most of the trust assets into the trust during her
lifetime. Under the terms of the trust, at the time a transfer was made, any of the
beneficiaries had the right to withdraw an amount from the trust corpus equal to the Federal
Gift Tax Exclusion ($10,000). This right was to exist for 15 days following the transfer.
During her life, Settlor made two separate transfers of property into the trust, each worth
$70,000, during different taxable years. She did not report these transfers as taxable
gifts. Instead, she claimed exclusions of $10,000 for each of her children and
grandchildren, totaling the full amount of the transfers. The commissioner (D) allowed the
exclusions made with respect to Settlor's two children, who had a present interest in the
trust income, but disallowed those claimed for the grandchildren.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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