Two-Year Grantor Retained Annuity Trust (GRAT) (24 Pages)

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2yearGRT
$79.00

This is a Form of a GRAT designed to have a duration of two years. It is sometimes referred to as a short-term GRAT, or a Walton GRAT after the Tax Court case (Walton v. Commissioner) that authorized the zeroed-out GRAT planning concept. The goal here is to have the grantor recover everything placed into the trust, plus the applicable Code Section 7520 federal rate published by the IRS (the so-called “hurdle rate”) so that there is no gift, but any appreciation over the value to be recovered by the grantor remains in the trust for the benefit of the trust beneficiaries. That appreciation passes to the beneficiaries without any tax consequence to them or to the grantor.
 

This Form contains a specific power of substitution (paragraph 13) which allows the grantor to swap property in the trust for other property of equivalent value.
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This is a Form of a GRAT designed to have a duration of two years. It is sometimes referred to as a short-term GRAT, or a Walton GRAT after the Tax Court case (Walton v. Commissioner) that authorized the zeroed-out GRAT planning concept. The goal here is to have the grantor recover everything placed into the trust, plus the applicable Code Section 7520 federal rate published by the IRS (the so-called “hurdle rate”) so that there is no gift, but any appreciation over the value to be recovered by the grantor remains in the trust for the benefit of the trust beneficiaries. That appreciation passes to the beneficiaries without any tax consequence to them or to the grantor.
 

This Form contains a specific power of substitution (paragraph 13) which allows the grantor to swap property in the trust for other property of equivalent value.
 
The Form provides for an outright disposition of the trust property to the children of the grantor if the grantor survives the trust term. Other alternatives could provide for the property to be distributed to a trust for the benefit of the grantor’s children (and possibly the grantor’s spouse as well) or to an LLC of which the grantor’s children, and possibly other family members, are members of the LLC.


Author
:
Steven G. Siegel is president of The Siegel Group, which provides consulting services to attorneys, accountants, business owners, family offices and financial planners. Based in Morristown, New Jersey, the Group provides services throughout the United States. Mr. Siegel is the author of many books, including: The Grantor Trust Answer Book (2012 and 2013 CCH); CPA’s Guide to Financial and Estate Planning (AICPA 2012); and Federal Fiduciary Income Taxation (Foxmoor 2012). In conjunction with numerous tax planning lectures he has delivered for the National Law Foundation, Mr. Siegel has prepared extensive lecture materials on the following subjects: Planning for An Aging Population; Business Entities: Start to Finish; Preparing the Audit-Proof Federal Estate Tax Return; Business Acquisitions: Representing Buyers and Sellers in the Sale of a Business; Dynasty Trusts; Planning with Intentionally-Defective Grantor Trusts, Introduction to Estate Planning; Intermediate-Sized Estate Planning; Social Security, Medicare and Medicaid: Explanation and Planning Strategies; Subchapter S Corporations: Using Trusts as Shareholders; Divorce and Separation: Important Tax Planning Issues; The Portability Election; Generation-Skipping Transfer Tax: A Comprehensive Review; and many other titles. Mr. Siegel has delivered hundreds of lectures to thousands of attendees in live venues and via webinars throughout the United States on tax, business and estate planning topics on behalf of numerous organizations, including The Heckerling Institute on Tax Planning, CCH,National Law Foundation, AICPA, Western CPE, the National Society of Accountants, the National Tax Institute, Cohn-Reznick, Professional Education Systems, Inc., Foxmoor Education, many State Accounting Societies and Estate Planning Councils as well as on behalf of private companies. He is presently serving as an adjunct professor of law in the Graduate Tax Program (LLM) of the University of Alabama, and has served as an adjunct professor of law at Seton Hall and Rutgers University law schools. Mr. Siegel holds a bachelor’s degree from Georgetown University (magna cum laude, phi beta kappa), a juris doctor from Harvard Law School and an LLM in taxation from New York University Law School.
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