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Federal Income Taxation of Trusts and Estates: Cases, Problems, and Materials (Carolina Academic Press Law Casebook)
 
 
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Federal Income Taxation of Trusts and Estates: Cases, Problems, and Materials (Carolina Academic Press Law Casebook) [Hardcover]

Mark L. Ascher (Author), Robert T. Danforth (Author)

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Book Description

1594605645 978-1594605642 August 13, 2008 Third Edition
Federal Income Taxation of Trusts and Estates: Cases, Problems, and Materials examines the income taxation of estates and trusts, estate and trust beneficiaries, and trust settlors; its emphasis is on the provisions of 'Subchapter J'; the relevant portion of the Internal Revenue Code (sections 641 through 692) and its first priority is to give readers an understanding of those provisions and how they work. The book takes four distinct, but integrated, approaches. At the beginning of each section, Ascher and Danforth present assignments of carefully selected provisions of the Internal Revenue Code and Treasury Regulations. Following are one or more precedents (cases or rulings) dealing with the topic at hand, accompanied by textual material that amplifies the topic by further analysis of the primary precedents, presentation of other precedents, or discussion of subsequent developments. Finally, numerous problems, where appropriate, allow the reader to apply the material to common fact patterns.

The third edition brings the book completely up to date, and includes all relevant developments since the preparation of the second edition. Among the many important additions are the decision of the United States Supreme Court in Knight v. Commissioner, which just this year held that investment advisory fees paid by a trustee are subject to the 2% haircut under section 67; Mattie K. Carter Trust v. United States, in which the United States District Court for the Northern District of Texas held that it is not merely the activities of the trustee, but also those of the trustee s employees, that count toward the material participation requirement under the passive activity rules of section 469; and full incorporation of the trust accounting income regulations recently finalized by the Treasury. The third edition includes a number of new or revised problems, and it trims some materials relating to estate planning techniques that are now obsolete.

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Editorial Reviews

About the Author

Mark L. Ascher is Joseph D. Jamail Centennial Chair in Law at the University of Texas School of Law. Robert T. Danforth is Associate Dean for Academic Affairs and Professor of Law at Washington and Lee University School of Law.

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Inside This Book (learn more)
Key Phrases - Statistically Improbable Phrases (SIPs): (learn more)
income tax regulations, federal income taxation, construction agreement, federal tax regulations, escrow agent, tentative taxable income, tributable net income, tiple trusts, fiduciary accounting income, taxable trust income, payor estate, residuary charitable bequest, grantor trust provisions, estate from the decedent, empt income, legal life tenant, beneficiary during the taxable year, distribution deduction, such net value, grantor trust status, payee estate, sole income beneficiary, estate tax attributable, separate share rule, capital gains allocable
Key Phrases - Capitalized Phrases (CAPs): (learn more)
United States, Tax Court, Income Tax Regs, Revenue Ruling, Illustrative Material, New York, Internal Revenue Code, Carter Trust, Supreme Court, Caroline Hunt, Morris Trusts, Commissioner of Internal Revenue, Carling Dinkler, Jeanette Andersen, Circuit Judge, Selling Trusts, General Motors, Private Letter Ruling, Internal Revenue Service, Mildred Bruchmann, Richard Kadish, Court of Appeals, Estate of Peterson, Technical Advice Memorandum, Texas Trust Act
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