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Thus, the trustee cannot terminate the GRAT before expiration of the term of the grantor's qualified interest by distributing to the grantor and the remainder beneficiaries the actuarial value of their term and remainder interests, respectively.
Thus, the trustee cannot terminate the GRAT before expiration of the term of the grantor's qualified interest by distributing to the grantor and the remainder beneficiaries the actuarial value of their term and remainder interests, respectively.
GRATs are taxed in two ways: Any income you earn from the appreciation of your assets in the trust is subject to regular income tax, and any remaining funds/assets that transfer to a beneficiary are subject to gift taxes.
For this reason, many people choose to set up rolling or laddered short-term GRATs. The idea is to create a series of consecutive short-term GRATs, funding each with the previous trust's annuity payments. Rolling GRATs can capture rapid asset appreciation and offer the flexibility to stop at any time.
The annuity amount is paid to the grantor during the term of the GRAT, and any property remaining in the trust at the end of the GRAT term passes to the beneficiaries with no further gift tax consequences.
A grantor retained annuity trust is a type of irrevocable gifting trust that allows a grantor or trustmaker to potentially pass a significant amount of wealth to the next generation with little or no gift tax cost.
A grantor trust is a trust for which the grantor of the trust (i.e., the person who creates and funds the trust) is treated as the owner of the trust assets for federal income tax purposes by virtue of the inclusion of certain provisions in the trust instru- ment.
If trust assets generate interest or capital gains, you must report them on your income tax return. Second, since the annuity payments are merely a transfer of principal between the same taxpayer, the annuity payments will not be taxable to you.
A GRAT is an irrevocable trust that allows the trust's creator known as the grantor to direct certain assets into a temporary trust and freeze its value, removing additional appreciation from the grantor's estate and giving it to heirs with minimal estate or gift tax liability.
The annuity payments cannot, however, be made in advance of the payment date. For that reason, it is important to consider the cash flow constraints on the grantor when deciding which assets will be used to fund the GRAT.