Supreme Court Declines to Hear Appeal of Minnesota Trust Case
After having decided that North Carolina could not tax a trust based solely on residence of a beneficiary in the Kaestner Trust case, the Court had to decide what to do with another case. Shortly after the North Carolina Supreme Court ruled against the North Carolina Department of Revenue in the Kaestner case the Minnesota Supreme Court ruled against the state of Minnesota’s ability to impose its tax on a trust on different grounds.
On June 28, 2019, the Court decided not to hear the Minnesota Department of Revenue’s appeal of the Minnesota Supreme Court’s ruling in the Fielding case.[1] The Minnesota Supreme Court ruled that the state could not impose an income tax on a trust when the only connection with Minnesota was the fact that the settlor had been a Minnesota resident when the trust became irrevocable.[2]
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