Tax and Estate Planning

  • A gift of debt: estate planning when money is owed

    Gifts with strings attached aren’t always welcome. But what about real property passed on to a specific beneficiary with debt attached?

    A recent case in Florida provides an example of the potential legal issues.

     

  • May 19, 2008

    Stock loss caused by WorldCom fraud not deductible

    A $1.3 million stock loss attributable to the fraudulent practices of WorldCom officials isn’t deductible under Internal Revenue Code provisions governing theft loss, the U.S. Tax Court has ruled.

    The court said the employee failed to establish that he relied on WorldCom's representation to make his stock decisions.

     

  • May 5, 2008

    Pay now, die later

    Estate planners need to be aware of the risky nature of prepaid funeral plans given the marked increase in suits over misuse of this money by funeral homes.

    The new owner of a Memphis mortuary recently announced he would not honor 13,500 prepaid funerals held by the company.

     

  • May 5, 2008

    ‘Innocent spouse’ tax relief limited to joint filers

    The Internal Revenue Code’s “innocent spouse” provisions, which grant taxpayers relief from tax liability, apply only to spouses who file joint returns, the 9th Circuit has ruled.

  • May 5, 2008

    Emotional distress damages are taxable

    Damages awarded to an age discrimination plaintiff for “severe emotional distress” are not excludable from gross income, the U.S. Tax Court has ruled.

     

  • April 16, 2008

    Decedent must specify that debts be paid from estate

    Estate property should pass to a beneficiary encumbered unless there is clear evidence the decedent wanted the debt paid, the Florida Court of Appeal has ruled.

    The case was filed by a son who objected when the trustee used estate money to pay off debt on farms inherited by another son.

     

     

  • April 21, 2008

    Family LLC discount ruling relieves estate planners

    Estate planning attorneys have welcomed a recent ruling from the U.S. Tax Court that allowed the assets in a family limited liability company to be excluded from the decedent’s gross estate, thereby allowing a discount for tax purposes.