United States Taxation of Foreign Trusts covers the following topics in detail:
Numerous examples throughout the book clarify the valid procedures and alternatives available at every point, a feature especially valuable in applying provisions that still await settled regulation and case law. Compliance issues that may arise on IRS audit are also examined.
Professionals and advisors in law, tax, accounting, banking, and securities; settlors and beneficiaries; and students and academics both within and outside the United States will benefit substantially from this highly informative and very useful volume.
Brief History of Trusts Definition of Trust and Foreign Trust Different Types of Trusts for Tax Purposes Some Common Types of Foreign Trust Examples of Uses Taxation of Trusts: Overview Distributable Net Income Nongrantor Trusts: Complex Throwback Rules Interest Charge Grantor Trusts Special Rules Applicable to Foreign Trusts Tax Reform Act of 1976 Small Business Job Protection Act of 1996 Effective Dates Transition Rules Forthcoming Regulations, etc Protection of Assets Trusts Tax Treatment of Underlying Entities and Insurance Products Reporting Rules and Penalties Appointment of U.S. Agent Forms Compliance Issues Collection and Enforcement Trusts in Treaties Large Gifts Received by U.S. Persons Individuals Immigrating To and Expatriating From the U.S. What Happens When the Grantor Dies Index Appendices: A. Statutory Provisions B. Forms and Instructions C. Excerpts from IRS Training Materials
Appendices: A. Statutory Provisions B. Forms and Instructions C. Excerpts from IRS Training Materials
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