-
Articles & Seminar Materials
- June 5 NYS Tax Litigation Seminar: Completion Certificate June 2, 2025
- June 5 NYS Tax Litigation Seminar — Outline May 31, 2025
- June 5 Tax Litigation Seminar — Supplementary Materials May 14, 2025
- June 5 CPE Seminar: NYS Tax Litigation — Practice & Procedure April 28, 2025
- March 13 CPE Seminar: Supplementary Materials March 4, 2025
- Income Taxation of New York Trusts & 2025 Planning Strategies March 4, 2025
- Webinar Recording of 1031 Final Regulations Seminar January 16, 2025
-
Natural Language Search
Search by Category
Most Popular
- Welcome
- Executor and Trustee Commissions Under the New York EPTL
- Letters Testamentary
- FROM FEDERAL AND NYS COURTS: Recent Developments & 2015 Decisions of Note
- Practice Areas
- Like Kind Exchanges of Real Estate Under IRC Section 1031 -- Treatise
- The IRC § 2036 Trap in Planning With FLPs & Grantor Trusts
- Use of Disclaimers in Pre and Post-Mortem Estate Planning
- Surrogate Finds Tax Apportionment Clause "Beneficial Disposition" Under EPTL 3-3.2(a)(1)
- Exclusion of Gain From Sale of Residence Under IRC Section 121
Tag Archives: continued residence
Qualified Personal Residence Trusts (QPRTs)
In essence, a QPRT is formed when a grantor transfers a personal residence (and some cash for expenses) into a residence trust, and retains the right to live in the residence for a term of years. If the grantor dies before the end of the trust term, the trust assets are returned to the grantor’s estate, and pass under the terms of the grantor’s will. However, if the grantor outlives the trust term, the residence passes to named beneficiaries without any gift or estate tax event. Continue reading