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Tag Archives: IRC 691
Distributable Net Income and Income in Respect of a Decedent
In general, any distribution of income or principal by an estate will cause the beneficiary to be taxed to the extent of the lesser of (i) the estate’s “distributable net income” (DNI) or (ii) the amount of the distribution. Estate income is said to be “carried out” to the beneficiary. Capital gains are an exception. Since they are allocated to corpus and are not distributed to beneficiaries currently, they are generally excluded from DNI. Continue reading →
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Tagged DNI, fiduciary income, income in respect of decedent, IRC 691, IRC Sec. 2033, IRD, separate share rule
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