Prop. regs on predeceased parent rule.

AuthorJackson, Jeffrey B.

The IRS issued proposed regulations (REG-145988-03, 9/3/04) on the predeceased parent rule that (1) make it easier to apply and (2) provide guidance on its application in particular situations. These regulations are important, because an automatic allocation of generation-skipping transfer (GST) tax could use exemptions not required. Code Chapter 13 imposes a tax on all transfers, whether made directly or indirectly, to skip persons (generally, a person two or more generations below the generation of the transferor or a trust, if all of the interests in the trust are held by skip persons). Transfers subject to GST tax are direct skips, taxable terminations and taxable distributions.

Overview

The Taxpayer Relief Act of 1997, Section 511(a) and (b)(1), repealed former Sec. 2612(c)(2) and replaced it with Sec. 2651(e), which assigns individuals to generations for purposes of the GST tax. Sec. 2651(e) broadens the predeceased parent rule by expanding its application to transfers (1) that would be taxable distributions or taxable terminations and (2) to collateral heirs, provided that the transferor has no living lineal descendants at the time of transfer. Sec. 2651(e) applies to terminations, distributions and transfers occurring after 1997. It does not apply to a transfer to an individual who is not a lineal descendant of the transferor or his or her spouse, if at the time of the transfer, the transferor has any living lineal descendants.

Established or Derived

One issue addressed by the proposed regulations relates to the time when an interest is established or derived. Prop. Regs. Sec. 26.2651-1(a)(3) provides that an individual's interest in property or a trust is established or derived at the time the transferor is subject to tax...

To continue reading

Request your trial

VLEX uses login cookies to provide you with a better browsing experience. If you click on 'Accept' or continue browsing this site we consider that you accept our cookie policy. ACCEPT