Jan 1, 2005 12:00 PM

Why Section 2036(a)(2) Shouldn't Apply to FLPs

Internal Revenue Code Section 2036(a)(2) includes in a decedent's gross estate the value of transferred property (except in the case of a bona fide sale for full and adequate consideration) in which a decedent has retained “the right, either alone or in conjunction with any person, to designate the persons who shall possess or enjoy the property or the income therefrom.” Historically, the courts and the Internal Revenue Service have applied this section to trusts over which a deceased grantor retained the right, as trustee or otherwise, to control distributions of trust income or principal.1 However, the significant differences between partnerships and trusts make Section 2036(a)(2) inapplicable to typical FLPs.

In the trust context, a grantor's right to make discretionary distributions of trust income or principal subject to a non-ascertainable standard falls squarely within Section 2036(a)(2). For example, it's common for the trustee to have the power to make unequal discretionary distributions of trust income among a class of beneficiaries. This power allows the trustee to make income distributions to some beneficiaries and exclude others. If such a discretionary power is retained by the grantor of the trust and is not subject to an ascertainable standard, the grantor has retained “the right to designate the persons who will possess or enjoy” such income.

Sign in to
view the full article



Remember Me

* Forgot Username/Password?

* Magazine Subscribers Get Your Login

Not a subscriber?

  • Subscribe & Save

    Get immediate access to Trust & Estates online
  • Subscriber Benefits

    Learn more about Trust & Estates magazine, online article access and our free enewsletters.

Wealth Watch E-Letter Subscribe

Build a Better Endowment

Solid university endowments can survive economic storms...

A Pitch for Privacy Rights

Milwaukee Brewers relief pitcher asks court to seal the records of his wife’s cocaine-related death...

View Past Wealth Watch E-letters...

Tech E-Letter Subscribe

Accruit

Streamlining the management of like-kind exchanges...

Analyzing ILITs

InKnowVision has a spreadsheet-based software that helps wealth planners look at irrevocable life insurance trusts...

View Past Technology Review Newsletters

Podcasts

Advising the Wealthy:
It's a Whole New Game

Charlie Ratner talks with estate-planning expert Lou Harrison, investment guru Michael Lewitt and retirement benefits specialist Mike Jones. Register for this timely podcast......

Webinars

Aligning Charitable Giving & Life Insurance

Register for this complimentary webinar on 3/9/10 - Charitable giving is under great stress. The Association for Advanced Life Underwriting (AALU), the American College, and the Partnership for Philanthropic Planning (PPP) are rising to address this challenge. You will hear from Tanya Howe Johnson, President & CEO of the PPP, Kelly Kidwell, President & CEO of Pacific Advisors and Chairman of the AALU Charitable Planning Committee, and Phil Cubeta, the Sallie B. and William B. Wallace Chair in Philanthropy at the American College....

Integrative Philanthropy

Robert F. Sharpe, Jr. and Marc D. Hoffman describe the current philanthropic/political landscape and review the techniques that donors of means are now increasingly using to optimize their giving.
Available On Demand!...

The Electronic Practice

Learn how to get the most out of your computer as you work with trusts and estates matters. Sponsored by Sungard -
Available On Demand!...

Press Releases

Press Releases

Advising the Wealthy:
It's a Whole New Game

Charlie Ratner talks with estate-planning expert Lou Harrison, investment guru Michael Lewitt and retirement benefits specialist Mike Jones. Register for this timely podcast......