Final Regulations Issued on Sale of Entire Term Interest in Charitable Remainder Trust by Taxable Beneficiary, Plugging "Hole" Some Tried to Use in CRTs
Final regulations have been issued (TD 9729) to eliminate what some had claimed was a method that could allow the use of a charitable remainder trustto allow a donor to gain a charitable deduction, have the trust sell off the appreciated assets, acquire new high basis assets and then allow the grantor to sell off his retained interest (the right to future payments from the trust) while recognizing no or very little taxable gain.
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