NIMCRUT's Charitable Remainder Interest Must Be Valued Using Stated Payout Percentage Without Reduction Based on Possible Limts Due to Net Income
Sometimes it takes a while for the Tax Court to issue a decision on an issue that you might have thought would have been addressed previously. Such is true with regard to the issue of valuing net income makeup charitable remainder unitrusts (NIMCRUTs) created under IRC §664. In the case of Estate of Schaefer v. Commissioner, 145 TC No. 4, the Tax Court addressed this issue.
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