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📄 Extracted Text (332 words)
From: Jeffrey Epstein <[email protected]>
To: Eileen Alexanderson , Melanie Spinella
Subject:
Date: Fri, 06 Jul 2012 03:17:56 +0000
The IRS has advanced many theories to challenge the gift and estate tax savings occasioned by the use of family
entities and grantor trusts in estate planning. Until recently, most IRS arguments had been rather unsuccessful.
However, the IRS discovered a potent weapon in IRC § 2036(a), which provides that the value of the gross estate
includes the value of all property to the extent the decedent has made a transfer but has retained (i) the
possession or enjoyment of, or the right to income from, the property, or (ii) 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.
The IRS has been successful in arguing that IRC § 2036(a) requires the inclusion in the decedent's estate of (i)
partnership assets if the decedent continued to derive benefits from the partnership, or of (ii) trust assets, if the
decedent continued to receive distributions, disguised in the form of a note, from assets sold to a "defective"
grantor trust. The IRS has been most successful where the transactions with not imbued with a sufficient
quantum of non-tax objectives, or the economics of the transaction were questionable, most often because the
grantor had not left himself with sufficient assets to live according to his accustomed standard without receiving
partnership (or trust) distributions.
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Jeffrey Epstein
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EFTA00938712
ℹ️ Document Details
SHA-256
c75ebb48748c4d5fb88ab32a772310438e3cb59c42d2137327bf257780f9785a
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EFTA00938712
Dataset
DataSet-9
Type
document
Pages
1
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