File 022330
Tax Planning Strategy Documents by Blanche Lark Christerson (File 022330)
Comprehensive table of contents and index of tax planning articles and strategies covering estate planning, tax reform, and wealth management topics from 2009-2013.
Summary
This document is a detailed table of contents for tax planning materials authored by Blanche Lark Christerson, Managing Director and Senior Wealth Planning Strategist. It spans 2009-2013 and covers major tax topics including estate tax provisions, GRAT strategies, charitable giving, gift tax planning, the Affordable Care Act, fiscal cliff discussions, and various tax legislation including the American Taxpayer Relief Act, Tax Relief and Job Creation Act, and responses to Supreme Court decisions like United States v. Windsor.
Blanche Lark ChristersonManaging Director, Senior Wealth Planning StrategistTax TopicsTable of Contents2013201312/20/13 Budgets, tax reform and “extenders”; end of the year round-up 2013-1211/15/13 The government shutdown, and selected inflation-adjusted numbers for 2014 andend-of-the-year planning points2013-1110/07/13 A review of basic planning points 2013-1008/30/13 Revised discussion of Windsor, reflecting guidance from the IRS and the TreasuryDepartment, issued on August 29, 201308/28/13 United States v. Windsor: the Supreme Court rejects Section 3 of DOMA, whichdefines “marriage” as only between a man and a woman07/01/13 Selected planning points: the now “permanent” $5 million exclusion, indexed forinflation, state estate taxes and “portable” spousal exclusions2013-092013-082013-0705/29/13 Updated discussion of selected options to save for a child’s college education 2013-0604/29/13 Selected tax provisions from President Obama’s Fiscal Year 2014 Budget 2013-0503/21/13 Updated estate planning glossary and selected income tax terms 2013-0402/20/13 Conservation easement flunks as charitable contribution (Belk); “DD” and the cost ofemployer-provided health care; two important 100-year anniversaries; some lesserknownprovisions of the American Taxpayer Relief Act01/25/13 Selected numbers from official IRS 2013 inflation-adjustments (Rev. Proc. 2013-15);façade easement has zero value as charitable deduction (Scheidelman)2013-032013-0201/10/13 Selected overview of the “American Taxpayer Relief Act of 2012” (H.R. 8): 2001 and2003 tax cuts largely made permanent, but higher taxes for the top 1% to 2%2013-01201212/31/12 Proposed regulations on the 3.8% tax on “net investment income”; Wandry again, andhow many gift tax dollars the “defined value” clause saved11/30/12 The “fiscal cliff,” alternative minimum tax and transfer taxes; IRS “non-acquiesces” inWandry; possible taxpayer relief for those affected by Hurricane Sandy10/31/12 Countdown to the election; selected 2013 inflation-adjusted numbers and variousplanning points; Wandry appeal withdrawn09/25/12 The looming “fiscal cliff” and the shape of possible future tax legislation; how NOT tosubstantiate a charitable deduction (Mohamed v. Commissioner); Wandry appealed2012-092012-082012-072012-0607/31/12 The Supreme Court’s health care decision: The Affordable Care Act upheld 2012-0506/11/12 Wandry v. Commissioner: yes, another taxpayer victory using a “defined value”formula clause – but caution may be in order04/19/12 Supreme Court arguments on the health care law; Medicare taxes taking effect in2013: 0.90% on the wages of “high earners” and 3.8% tax on “net investmentincome”; the Buffett Rule and the “Paying a Fair Share Act” (S. 2230)03/08/12 Tax proposals on “high-income” taxpayers from President Obama’s Fiscal Year 2013Budget and the Treasury Department’s “Green Book”01/23/12 Estate of Petter v. Commissioner: another taxpayer victory using a “defined value”formula clause, and the legacy of Procter v. Commissioner2012-042012-032012-022012-01201112/02/11 “Super Committee” bows out; 2012 inflation-adjusted numbers and various planningpoints; the “Sensible Estate Tax Act of 2011” (H.R. 3467)10/21/11 The American Jobs Act of 2011: the 28% limitation, the millionaires’ surtax, and the“Buffett Rule”09/16/11 The Budget Control Act of 2011 (Pub. L. 112-25) and the “Super Committee”: reducethe deficit – or else!07/28/11 How certain discretionary language almost made a credit shelter trust taxable in thetrustee/beneficiary’s estate (Estate of Chancellor v. Commissioner)06/13/11 A Tax Court valuation case that illustrates just how far apart the experts can be, andhow a judge evaluates those experts (Estate of Mitchell)05/03/11 Additional thoughts on last December’s 2010 Tax Act: lifetime gifts (GRATs, Sales toDefective Grantor Trusts and QPRTs) and how “credit shelter trusts” are still relevantdespite the “portability” of a deceased spouse’s estate tax exclusion2011-092011-082011-072011-062011-052011-04Tax Topics – Table of Contents – 2013 – 204/06/11 What it means to be a “statutory resident” of New York for income tax purposes – andhow expensive that can be (Matter of Baker)2011-0302/24/11 Updated “estate planning glossary” 2011-0201/31/11 A discussion of “tax expenditures” and possible tax reform, based on reports from thePresident’s Deficit Commission and the National Taxpayer Advocate2011-01201012/23/10 Overview of the Tax Relief, Unemployment Insurance Reauthorization, and JobCreation Act of 2010 (Pub. L. 111-312): income tax and capital gains rates, tax-freedistributions from IRAs to charity; estate and gift tax and GST provisions11/30/10 Thoughts on the mid-term elections, and selected year-end planning points, alongwith some of the inflation-adjusted pension plan numbers for 2011; brief reminder ofwhat low interest rates mean for certain planning techniques, including GRATs(grantor retained annuity trusts) and Sales to Defective Grantor Trusts10/26/10 Estate of Tatum: another disclaimer gone awry – but taxpayer loses this time;possible timeline for retroactive reinstatement of estate tax and GST, based onCarlton, a 1994 Supreme Court estate tax case09/14/10 Taxpayer successfully rescinds defective disclaimers and avoids significant gift taxliability (Breakiron); discussion of Bosch, the vintage case addressing when a statelaw holding is binding on the IRS07/27/10 A discussion of next year’s likely return of “PEP” and “Pease” (indirect tax increaseson higher earners) and the potential impact on charitable giving; two cases involvingpurported charitable gifts and a skeptical IRS: Hendrix and Free Fertility Foundation07/01/10 A round-up of the still uncertain tax landscape: Sen. Bernie Sanders’ estate tax billand its revenue raisers (consistent basis reporting, limits on valuation discounts andGRAT restrictions), “PAYGO” and Sen. Kyl’s estate tax proposal; Rep. Ryan’s“Roadmap”; NY drops “privity” requirement for executor’s suit against estate planningattorney (Schneider v. Finnman)05/28/10 “Pierre II”: the Tax Court addresses the “step transaction doctrine” and valuationissues in a continuation of the Pierre v. Commissioner saga; valuation of fractionalinterests used in QPRTs (Ludwick v. Commissioner)2010-112010-102010-092010-082010-072010-062010-0505/06/10 An updated discussion of some of the options to save for a child’s college education 2010-0404/05/10 An overview of some of the provisions in the new health care legislation, particularlythe new Medicare taxes; codification of “economic substance doctrine”; GRATrestrictions advance02/28/10 President Obama’s FY 2011 Budget – increases on higher earners, and estate andgift tax proposals: return to the 2009 estate tax regime, consistent values, modifyingrules on valuation discounts and mandating minimum 10-year term and remainderinterest for GRATs; under the “check-the-box” regulations, is a single member LLCdisregarded for gift tax purposes? (Pierre v. Commissioner)2010-032010-02Tax Topics – Table of Contents – 2013 – 301/26/10 The 2010 planning landscape: NO estate tax, GST or basis adjustment rules; whatCongress may do; possible constitutional “due process” challenge; what can gowrong when documents are wrong about how property is titled (Beudert-Richard v.Richard)2010-01200912/22/09 The imminent demise of the estate tax? Possible effect on formula provisions and thedifficulties of modified carryover basis; extenders bill and carried interest; proposedstock transactions tax; importance of keeping beneficiary designations current(Kennedy v. DuPont SIP)09/30/09 More on Roth IRA conversions: calculating what the taxable amount may be; how a“decoupled” state may tax a non-resident’s property, even if it’s passing to a survivingspouse; NY advisory opinion on non-resident’s proposed condo purchase (TSB-A-08(1)M)08/31/09 What may happen with estate tax repeal and tax-free IRA distributions to charity;early 2009 AMT “patch”; Roth IRA conversions in 2010 – restrictions will be gone sothat anyone may convert a “regular” IRA to a Roth07/28/09 Some pros and cons of several options to pay for health care reform; the case of the“tainted witness” and a will’s tax apportionment clause (Estate of Wu); how somestates are dealing with economic adversity06/15/09 OMB’s “Analytical Perspectives” and Treasury Department’s “Green Book” offerinsights on Obama tax proposals and outline of estate and gift tax proposals:consistent values, modifying rules on valuation discounts and minimum 10-year termsfor GRATs; taxing employer-provided health care?; new mortality tables and QPRTs;New York’s increased taxes and estimated tax payments04/20/09 The “Taxpayer Certainty and Relief Act of 2009” (S. 722) – makes lower income taxrates permanent, increases higher rates, and freezes the estate tax at 2009 levels;focus on whether Congress might reinstate the state death tax credit; new task forceon tax reform03/19/09 President Obama’s FY 2010 budget proposal: higher rates, limits on itemizeddeductions and the personal exemption phase-out; the interaction of the regular taxwith the AMT; historical income tax and capital gains tax rates; S. 394 would enhancethe tax treatment of art and collectibles02/09/09 Rep. Pomeroy’s estate tax bill (H.R. 436); basic planning points; basis adjustmentrules, including modified carryover basis in 2010; “The Rangel Rule” (H.R. 735); intrafamilyloans01/12/09 Suspension of 2009 required minimum distributions under The Worker Retiree andEmployer Recovery Act of 2008 (Pub. L. 110-458); a brief mention of another “badfacts” limited partnership case (Hurford)2009-102009-082009-072009-062009-052009-042009-032009-022009-01Tax Topics – Table of Contents – 2013 – 4200812/02/08 Prospective tax increases and their possible revenue implications; inflation-adjustednumbers for 2009 and selected planning points11/04/08 The Emergency Economic Stabilization Act of 2008 (Pub. L. 110-343): AMTextenders and ISO relief, tax-free IRA distributions to charity, deduction for state andlocal sales taxes, broker basis reporting, and harmonizing preparer penalties forundisclosed positions; making lemonade out of lemons – coping with the marketdecline09/30/08 A discussion of the upcoming $3.5 million estate tax exclusion, and how it affectsplanning in “decoupled” states, especially for married couples08/29/08 A selected review of major tax legislation during the Bush administration, and asnapshot of the tax proposals of Senators McCain and Obama07/31/08 No discount for “restricted management accounts” (Rev. Rul. 2008-35); final regs on“grantor retained interest trusts” (T.D. 9414)06/30/08 Charitable remainder trusts and UBTI: final regs (T.D. 9403); charitable lead trustsand “tiering” provisions: proposed regs (REG-101258-08)05/30/08 Supreme Court holds that muni bonds still tax free (Kentucky v. Davis); IRS issuesproposed regs on alternate valuation (REG-112196-07; Kohler v. Commissioner)04/28/08 The awful AMT and its disappearing exemption; Notice 2008-22 and a trust grantor’s“nonfiduciary” power to swap trust property for property of equivalent value; planningtechniques that work well in a low-interest rate environment2008-112008-102008-092008-082008-072008-062008-052008-0403/31/08 Disclaimers and self-adjusting valuation clauses (Christiansen) 2008-0302/26/08 More on the new preparer penalties: Notice 2008-13 2008-0201/28/08 Supreme Court affirms that trust investment advisory fees subject to 2% floor(Knight); wash sale rules and IRAs; survivorship and the marital deduction (Lee)2008-01200712/21/07 AMT patch, cont’d.; 11 th Circuit reverses Tax Court: built-in capital gains taxliability reduces value of closely held corporation: Estate of Jelke (General Utitiliesdoctrine; willing buyer-willing seller; IRA implications)11/20/07 AMT patch; inflation-adjusted numbers for 2008 and planning points; 0% rate fordividends and capital gains10/26/07 Preparer penalties: the new rules under the Small Business and Work OpportunityAct of 2007; transition rules under Notice 2007-542007-122007-112007-1009/28/07 Charlie Rangel’s proposal; AMT and estimated tax; taxing “carried interest” 2007-0908/31/07 Saving for college: the “kiddie tax” and the pros and cons of different savings vehicles 2007-08Tax Topics – Table of Contents – 2013 – 507/31/07 Davis v. Kentucky Revenue Department – Supreme Court to examine muni bondtaxability; proposed regs on trust investment fees and the 2% floor (REG-128224-06)06/28/07 Proposed regs on grantor retained income trusts (REG-119097-05); why timing ofpayments matters; why there’s a 7520 rate; Rudkin update05/31/07 “Kiddie tax” changes; custodial accounts; “pay-go”; whither the estate tax; get a goodvaluation expert! (Kimberlin)2007-072007-062007-0504/27/07 2 nd Circuit affirms that trust investment fees subject to 2% floor: Rudkin 2007-0403/29/07 IRS Clarification: non-spousal rollovers and tax-free IRA distributions to charity(Notice 2007-7); tax patents; Chuck Grassley on the AMT and the “tax gap”2007-0302/28/07 Estate Planning Glossary 2007-0201/30/07 The “First 100 Hours”; President Bush’s health care proposals; 2006 Annual Report ofthe National Taxpayer Advocate2007-01200612/29/06 The Tax Relief and Health Care Act of 2006 (Pub. L. 109-432): “extenders”; healthsavings accounts; AMT refundable credit; charitable remainder trusts and UBTI;permanent capital gain treatment for self-created musical works2006-1111/22/06 The mid-term elections; 2007 inflation-adjusted numbers 2006-1010/23/06 More on the Pension Protection Act of 2006: fractional interest gifts and $100,000 taxfreeIRA contributions to public charities; Charlie Rangel and AMT reform;Connecticut marital deduction for same-sex couples09/08/06 The Pension Protection Act of 2006 (Pub. L. 109-280): selected retirement andcharitable provisions07/31/06 Estate Tax and Extension of Tax Relief Act of 2006 (H.R. 5970); Illinois decoupling(McGinley v. Madigan); non-resident income taxation and out-of-state property2006-092006-082006-0706/27/06 Permanent Estate Tax Relief Act of 2006 (PETRA, H.R. 5638) 2006-0605/31/06 Tax Increase Prevention and Reconciliation Act of 2005 (Pub. L. 109-222): “kiddietax”; conversions to Roth IRAs; expatriate income and housing exclusion; capitalgains treatment for self-created musical works04/28/06 The AMT and stock options: capital loss carryback prohibitions apply to AMT as well(Merlo); attempted assignment of income fails (McManus); assignment of income:non-qualified stock options and charitable remainder trusts2006-052006-0403/29/06 4 th Circuit upholds IRS win in Chawla, but “insurable interest” issue still dangles 2006-0302/22/06 Charitable Remainder Trust Safe-Harbor (Notice 2006-15); more on prepaid tuition;debts, forgiveness and taxes2006-02Tax Topics – Table of Contents – 2013 – 601/27/06 Prepaid tuition (PLR 200602002); gift and estate tax reminder; “Personal RevivalTrusts” for cryonauts2006-01200512/27/05 Tax Reform Panel Recommendations; Ron Wyden’s “Fair, Flat Tax Act of 2005” 2005-1211/18/05 Hurricane Katrina Provisions; 2006 inflation-adjusted numbers; sale of remaininglottery payments is not a sale of a “capital asset” (Prebola)2005-1110/18/05 Saving for College – round-up of options 2005-1009/30/05 Ittleson – New York taxes sale of non-resident’s artwork 2005-0909/08/05 Estate tax thoughts; GST consequences of taxable trust renunciation (PLR200532024); note about the “rule against perpetuities”2005-0807/29/05 Strangi – 5 th Circuit upholds IRS win in Texas FLP case 2005-0706/30/05 Circular 230 2005-0605/27/05 Estate planning glossary; Washington state’s new estate tax 2005-0504/20/05 New Jersey loses on decoupling case (Oberhand); retroactive tax changes(Nationsbank); charitable remainder trust “safe harbor” rules and the right of election(Rev. Proc. 2005-24)03/28/05 Insurable interests and trusts: Chawla; “frivolous arguments to avoid when payingtaxes” (Notice 2005-30)2005-042005-0302/18/05 Washington State decoupling struck down: Hemphill 2005-0201/28/05 Social security, the estate tax and tax reform; several cases: Banks (contingentattorney’s fees); Harkins (“corporation sole”); Davis (marital deduction)2005-01200412/28/04 The Barnes Foundation 2004-1511/24/04 2005 inflation-adjusted numbers; how a low 7520 rate affects planning techniques 2004-1411/05/04 Tax reform: flat tax and consumption tax; American Jobs Creation Act deductions forsales tax and attorneys’ fees; New York tax law change: non-resident’s sale of co-opnow taxable10/08/04 The Working Families Tax Relief Act of 2004 (H.R. 1308): extension through 2010 of10% and 15% brackets; that “ridiculously complex” tax code; a word on PORC;reminder about low 7520 rates09/10/04 Turner v. Commissioner (formerly Thompson): 3d Circuit affirms IRS Tax Court winagainst FLP (family limited partnership); Turner contrasted with Kimbell2004-132004-122004-11Tax Topics – Table of Contents – 2013 – 708/03/04 Tax Court says stock transfers to FLP are indirect gifts (Senda); co-op’s real estatetaxes not deductible against AMT (Ostrow and Guterman)07/14/04 IRS addresses grantor trust rules and implications of tax reimbursement clauses(Rev. Rul. 2004-64); LUST tax06/25/04 H.R. 4520, the export bill; proposals for state and local sales tax deduction anddeferred compensation; House bills; temporary Connecticut decoupling; 7520 ratechart05/28/04 Kimbell v. U.S. – 5 th Circuit hands taxpayer a victory in FLP case; how the applicablefederal rates are determined04/28/04 Export bill: economic substance doctrine, expanded “kiddie tax”; no dice on offsettinggambling losses (TAM 200417004); QSLOB election04/02/04 President Bush’s 2005 budget takes aim at 529 plan “loopholes”; deductibility ofattorneys’ fees – Supreme Court grants cert on Banaitis and Banks03/18/04 Impact of 2001 and 2003 tax law changes and interplay with AMT; reminder about low7520 rates02/27/04 More thoughts on “decoupling”: New York, New Jersey and Connecticut – the powerof lifetime gifts; pro-rating the tax on a New York trust that changes situs02/03/04 Tax clause nightmare: Lurie v. Commissioner, or the pain of charging taxes to a nontaxableshare; interrelated computations01/14/04 New York fiduciary income tax and trust situs: Estate of William Rockefeller andMatter of Harriet Bush; codification of Mercantile2004-102004-092004-082004-072004-062004-052004-042004-032004-022004-01200312/19/03 More changes on New York’s 529 Plan; intra-family loans: term and demand loans,and forgiving them; note on William Roth and John Breaux11/26/03 Inflation-adjusted numbers for 2004; charitable remainder trusts, “ordering rules”and qualified dividends (REG-110896-98)11/10/03 Connecticut “decouples” for a bit; New York and New Jersey “decoupling” –disclaimers and contingent QTIPs; changes to New York’s 529 Plan10/24/03 IRS acquiesces in Walton GRAT decision (Notice 2003-72); Social Security and “fullretirement age”2003-212003-202003-192003-1810/10/03 The Independent 529 Plan 2003-1709/26/03 IRS guidance on reporting requirements for substitute dividends (Notice 2003-67);the “Wall Street Rule”; tax reward money taxable (Roco)2003-1609/05/03 The fall legislative agenda; saving for a child’s college education 2003-15Tax Topics – Table of Contents – 2013 – 808/06/03 Strangi III – the Tax Court thumps taxpayer in Texas FLP case 2003-1407/23/03 7 th Circuit upholds IRS win in Hackl: no annual exclusion for gifts of LLC interests 2003-1307/01/03 New York’s “tax traps” regarding the estate tax, GST and non-residents 2003-1206/16/03 More on JGTRRA, qualified dividends and the new tax rates 2003-1106/06/03 JGTRRA: lower rates, qualified dividends, increased child tax credit; marriage penaltyrelief; increased AMT exemption; chart with phase-outs of the AMT exemptionamounts05/16/03 Jobs and growth bill; trust’s investment fees subject to 2% floor (Scott); taxapportionment (PNC Bank v. Roy); Michigan and the TPT credit (Lacks v. MichiganDepartment of Treasury)2003-102003-0905/02/03 Jobs and growth bill; flat tax proposals; tax apportionment (Kuralt) 2003-0804/11/03 Budget update; estate tax pitfalls for non-resident aliens (Fung); “indirect skips” andthe GST; QTIP election boo-boo (PLR 200314012); early CRUT termination andcapital gain (PLR 200314021)03/28/03 Budget news; contingent attorneys’ fees (Raymond) – and how AMT interacts withthem03/13/03 Budget and legislative update; marital deduction mess-up (Davis); limited educationno defense against estate tax deficiency (Koester)02/28/03 Taxpayer’s SCIN works (Estate of Dulio Costanza); SCIN contrasted with privateannuity; IRS loses on “joint-spousal GRATs” (Cook)02/14/03 Details on Fiscal Year 2004 Budget, including various proposed savings accounts(lifetime, retirement and employer-sponsored); impact on 529 plans; a closer look atarguments in favor of tax-free dividend proposal01/31/03 State of the Union address and tax-free dividend proposal; CBO’s deficit numbers;Sen. Daschle on the Democratic plan; is all retirement plan income “effectively” taxfree?(KD 3761); “decoupling” in Nebraska and Kansas01/16/03 President Bush’s job creation plan and tax proposals, including tax-free dividends;Sen. Feinstein on freezing the top rate; JCT lists expiring provisions;House rules torequire macroeconomic analyses; dynamic scoring200212/19/02 New faces: John Snow and Steven Friedman; adjustment clause too much likeProcter – Mom can’t take back gift (TAM 200245053); non-immigrant visa doesn’tpreclude domicile (Estate of Jack); payments to Holocaust survivors permanentlyexempted from income tax11/27/02 Our “abominable” tax code and how it got that way; Lindy Paull’s departure; how7520 rates affect planning techniques – why GRATs work better with lower rates andQPRTs don’t2003-072003-062003-052003-042003-032003-022003-012002-222002-21Tax Topics – Table of Contents – 2013 – 911/19/02 Aftermath of the mid-term elections and the AMT; estate tax issues; inflation-adjustednumbers for 200310/25/02 Run-down on proposed legislation: the CARE and NESTEG bills; next year’s FICA;low 7520 rates and planning: QPRTs, CLATs, CRATs, GRATs and charitable giftannuities09/20/02 Possible permanency of 2001 Tax Act and its education provisions;“decoupling”:D.C., Massachusetts, New Jersey and New York2002-202002-192002-1809/04/02 Treasury ends “abusive” split-dollar scheme (Notice 2002-59) 2002-1708/29/02 CBO’s budget numbers and stimulus proposals; IRA discussion correction – commentfrom Cathy Vohs of the IRS2002-1608/01/02 CARE Act progresses – proposed gifts to charity from IRAs 2002-1507/23/02 Corrections on IRA discussion; single life distribution table 2002-1407/18/02 Corrected discussion on the final minimum distribution regs 2002-1307/02/02 The debt limit increase; IRS retreats from imposing FICA or FUTA taxes on ISOs(Notice 2002-47)06/21/02 Attempts to make 2001 Tax Act permanent; efforts at estate tax reform; law-schoolexpenses not deductible (Galligan); ignorance of the law is no excuse – “innocentspouse” relief denied (Mitchell)2002-122002-1105/24/02 The “sunset” provision of the 2001 Tax Act; new IRA distribution tables 2002-1004/18/02 Thoughts on 529 Plans; IRS issues final rules on IRA distributions; “decoupling”:Maryland, Nebraska and New York04/09/02 Tax Court denies annual exclusion for gifts of LLC interests (Hackl); Florida saysgoodbye to estate tax revenues03/20/02 Senate Finance Committee hearing on tax shelters; Joint Committee on Taxationreport on shelters and judicial doctrines used against them03/15/02 Stimulus bill passes; bill to freeze some of 2001 Tax Act; CBO and OMB revenueprojections; Concord Coalition suggestions about fiscal year 2003 budget; GRATincludibility under IRC Sec. 2039 (TAM 200210009); Vermont “decoupling”; the GSTand “indirect” skips – the opt-out02/28/02 Tax shelter amnesty (Announcement 2002-2); whither the corporate income tax?; IRSpermits early CRUT termination (PLR 200208039) and tax treatment of earlytermination (PLR 200127023); IRS information on Victims’ Relief Bill (Publication3920); New York City’s cigarette tax02/22/02 President Bush’s fiscal year 2003 budget; Senate vote on estate tax repeal; theshrinking surplus; increase in debt ceiling; taxability of frequent flyer miles(Announcement 2002-18); cigarette taxes2002-092002-082002-072002-062002-052002-04Tax Topics – Table of Contents – 2013 – 1001/31/02 Victims’ Relief bill signed – planning points; bill to reinstate marital deduction for noncitizenspouses (H.R. 3575); the state death tax credit and “decoupling”: Minnesota,Rhode Island and Wisconsin2002-0301/25/02 IRS Notice on split-dollar life insurance (Notice 2002-8) 2002-0201/11/02 Tom Daschle speech on the economy; 2001 Report of the National TaxpayerAdvocate2002-01200112/21/01 The stimulus package; the Victims of Terrorism Relief Act; inflation-adjusted numbersfor 200211/30/01 More on Victims of Terrorism bill (history of prior such bills); applicability of FICA andFUTA taxes to ISOs (incentive stock options): proposed regulations (REG-142686-01)and Notices 2001-72 and 2001-73; the AMT and ISOs11/26/01 Stimulus package stalls; Victims’ Relief bill progresses; 18% capital gains tax rate andgain on principal residence exclusion (Revenue Ruling 2001-57)10/31/01 More thoughts on the Victims of Terrorism relief bill; FICA increase; France and theVAT2001-252001-242001-232001-2210/24/01 Stimulus plans; budget shortfalls in California, Florida, New York and North Carolina 2001-2109/28/01 9/11 aftermath: Victims of Terrorism Relief Act 2001-2009/04/01 More on “timing” and the new estate tax rates; the phase-out of the state death taxcredit2001-1908/07/01 AMT ISO relief?; “timing” and the new estate tax rates; the tax rebates 2001-1808/02/01 Possible repeal of the “sunset” provision and the estate tax; GST “indirect” skips anddeemed allocations2001-1707/25/01 GST changes under 2001 Tax Act 2001-1607/10/01 Two unfavorable IRA rulings: sons can’t be default “designated beneficiaries”(PLR 2001260410) and daughter can’t name herself as Mom’s designated beneficiaryafter Mom’s death (PLR 200126036); new IRA rules wouldn’t necessarily have madea difference2001-1506/29/01 Some of the numbers behind the 2001 Tax Act 2001-1406/04/01 Rundown on EGTRRA (the 2001 Tax Act) 2001-1305/22/01 Gifts to non-grantor trusts under the “Relief” bill; Neal tries to shut down swap funds(H.R. 1785)2001-1205/18/01 Rundown on the “Relief” bill; the “Byrd rule” 2001-11Tax Topics – Table of Contents – 2013 – 1104/20/01 Costs of the “Death Tax Elimination” bill; the Joint Committee on Taxation andrevenue estimates; estate tax reform bills; Rangel bill would make state and localtaxes deductible against AMT2001-1004/13/01 The costs of estate tax repeal 2001-0904/11/01 President Bush’s tax proposals, H.R. 8, “The Death Tax Elimination Act of 2000,”carryover basis and “dynamic” versus “static” scoring2001-0803/23/01 Competing stimulus bills and possible estate tax relief 2001-0703/07/01 Stimulus bill in the making; IRA hardship exemption fails (Gallagher); tax fraudconviction and sentencing of Dorothy and George Henderson; office space for theClinton Foundation02/05/01 Projected budget surpluses; President Bush’s tax plan; possible estate and gift taxrepeal2001-062001-0501/30/01 Clarification on new proposed IRA regs 2001-0401/24/01 Appendix with new IRA distribution period 2001-0301/22/01 Senate Finance Committee takes shape; new proposed regs on IRA distributions(REG-130477-00 and REG-130481-00)01/10/01 Tax-writing committees take shape; possible tax legislation; IRS loses Walton GRATcase; how tax credits lard up the tax code; joint spousal revocable trust wins andloses2001-022001-01200012/20/00 The $1.3 trillion tax cut; inflation-adjusted numbers for 2001 2000-1911/29/00 Thoughts on the new faces in Washington; candidates for Chairman of the HouseWays and Means Committee11/22/00 The uncertain outcome of the elections; compromise bill on the foreign sales taxregime; standard mileage rates2000-182000-1711/17/00 Election outcome unknown, but what the tax-writing committees may look like 2000-1610/30/00 House passes tax bill, Clinton promises veto; NY streamlines tuition savings plan;FICA increases and Social Security funding10/18/00 Details on 18% capital gains tax rate; deduction and credit for college tuition;conviction of Dorothy and George Henderson for tax fraud2000-152000-1410/02/00 H.R. 1102, the “Retirement Security and Savings Act of 2000”; estate tax update 2000-13Tax Topics – Table of Contents – 2013 – 1209/15/00 Override on “marriage penalty” veto fails; Republican edge in Housenarrows;“surviving spouse” in same-sex relationship loses 50% co-ownershipargument (Estate of Horstmeier); credit for tax on prior transfers doesn’t fly (Estates ofHarrison); Gov. Jesse Ventura on Minnesota public school education09/08/00 Override on estate repeal veto fails; final GRAT regulations issued (T.D. 8899, 26CFR Part 25); settlement fees and tax apportionment (Estate of Esther Brabson);dependency exemption for kidnapped child (ILM 200034029)2000-122000-1108/07/00 Strategies for passing tax reform; New Hampshire upholds inheritance tax 2000-1007/14/00 Thoughts on possible estate tax repeal; New Hampshire House overrides inheritancetax repeal veto; the problem of joint-ownership (PLR 200034029); draft legislation topermit fair market value deduction for charitable contributions by artists and authors(S. 2781)2000-0906/29/00 Projected surpluses; estate tax repeal movement 2000-0806/09/00 New Hampshire governor vetoes inheritance tax repeal; IRS ruling on a “5 & 5”power: ever-increasing ownership of the trust (PLR 200022035); IRS wins two cases:gifts to a corporation don’t qualify for annual exclusion (Stinson); “economic benefit”doctrine doesn’t accelerate taxability of lottery winnings (Thomas)05/19/00 H.R. 8 and estate tax repeal; embezzled money is taxable income (Amini); no“married filing jointly” available for taxpayer in same-sex relationship (Mueller)05/15/00 Estate tax valuation of a disputed claim: Estate of Algerine Smith. Commissioner – 5 thCircuit reverse Tax Court04/13/00 IRS goes after “ghoulish” charitable lead trusts (REG-100291-00; new tax shelterlistings apply to individuals as well as corporations; IRS permits disclaimer to changeIRA beneficiaries (PLR 200013041); community property IRA distribution to exspousetaxable to IRA owner (Bunney); charitable bequest of non-qualified stockoptions taxable to charity, not estate (PLR 20012076)03/24/00 Donees subject to transferee liability (Armstrong); converting NIM-CRUTs to CRUTs(Notice 99-31); discharge of GRAT liability (TAMs 200010010 and 200011005)02/28/00 Corporate tax refunds are up; taxpayer wins Texas partnership case (Elsie Church v.United States)0/11/00 President Clinton’s final budget (fiscal year 2001); attempted casualty loss forproperty next to O.J. Simpson’s estate (Chamales)2000-072000-062000-052000-042000-032000-022000-01Tax Topics – Table of Contents – 2013 – 13Blanche Lark Christerson is a managing director at Deutsche Asset & Wealth Management in New YorkCity, and can be reached at blanche.christerson@db.com.The opinions and analyses expressed herein are those of the author and do not necessarily reflect those of Deutsche Bank AG or anyaffiliate thereof (collectively, the “Bank”). Any suggestions contained herein are general, and do not take into account an individual’sspecific circumstances or applicable governing law, which may vary from jurisdiction to jurisdiction and be subject to change. Nowarranty or representation, express or implied, is made by the Bank, nor does the Bank accept any liability with respect to theinformation and data set forth herein. 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