Qualified Terminable Interest Property (QTIP) Trust
Posted by: Ken Himmler
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Summary: In general, transfers of property between spouses can be made federal gift and estate tax free under the unlimited marital deduction. However, transfers of terminable interests to spouses are disqualified from the marital deduction. A terminable interest is one that terminates or fails at a certain time or upon an occurrence or lack of occurrence of a certain event or contingency. A QTIP trust is an exception to this rule. A QTIP trust is used when a spouse or both spouses want property of the first spouse to die to qualify for the marital deduction and provide lifetime income to the surviving spouse, but also want that property to be preserved and ultimately passed on to other beneficiaries. |
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What is a QTIP trust? |
A QTIP trust (also called a marital deduction trust) is an irrevocable marital trust used to ensure that a decedent’s property will provide lifetime income to his or her surviving spouse and then pass to other beneficiaries. A QTIP trust qualifies for the unlimited marital deduction, allowing the surviving spouse to use his or her federal gift and estate tax exemption (also called the applicable exclusion amount–$2 million in 2008) and/or federal generation-skipping tax exemption (same amount as the applicable exclusion amount).
A QTIP trust is designed to transfer property free of transfer taxes under the marital deduction just as an outright transfer would. The result, as in an outright transfer, is that the property will then be subject to taxes in the surviving spouse’s estate, but can be offset to the extent of the surviving spouse’s available exemption(s). Another advantage of a QTIP trust is that the property does not pass outright to the surviving spouse–it passes to an independent trustee who controls and manages the property on behalf of the surviving spouse for his or her life, and then passes to beneficiaries (typically children and grandchildren) named by the first spouse to die.
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How does a QTIP trust work? |
QTIP trust requirements
To qualify QTIP trust property for the marital deduction, the following four requirements must be met:
- The trust must direct that all income earned by the trust assets be distributed to the surviving spouse at least annuallyCaution: The trust document should not contain a provision that terminates the non-grantor spouse’s income interest in the event of divorce.
- The trust must direct that no person, including the surviving spouse, can appoint any part of the trust property to anyone other than the surviving spouse during the surviving spouse’s lifetimeCaution: The trust document should not grant a power of appointment to the grantor spouse, even if the power would only be exercisable after the death of the non-grantor spouse.
- Assets remaining in the trust at the surviving spouse’s death must be included in the surviving spouse’s gross estate for estate tax purposes
- A QTIP election for all or a portion of the property funding the trust must be timely made on the grantor spouse’s gift or estate tax return, whichever is the case.Caution: Once made, the QTIP election is irrevocable.
The surviving spouse can be given access to principal, but that is not required. At the surviving spouse’s death, the remaining assets in the trust pass to the beneficiaries who were named by the first spouse to die.
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Suitable clients |
A QTIP trust can be appropriate for married couples:
- Who want to defer transfer taxes until the death of the second spouse to die
- Who have children from a previous marriage, or outside the marriage, and want to ensure that those children will receive their inheritance
- Who anticipate that the spouse who survives will remarry and want to prevent the new spouse from receiving any rights to family property
- Where one spouse will need help managing the property, or has a high exposure to creditors or lawsuits
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Example |
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Advantages |
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Disadvantages |
For more information on QTIP or other trusts such as living trusts or revocable living trusts you can go to http://kenhimmler.com.
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