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Practical Practice Solutions: Income Taxes and Grantor Trust Angst

Martin M. Shenkman and Joy Matak explore options that might mollify growing grantor trust angst from continuing to bear the tax on trust income.
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Even before the Internal Revenue Code concluded that a settlor of a grantor trust won’t be treated as having made a gift of the amount of the tax to the trust beneficiaries,1 most practitioners have long understood the many benefits of grantor trusts.2

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