On December 17, 2010 the President signed the Tax Relief, Unemployment Insurance Reauthorization, and Job Creation Act of 2010 (the 2010 Tax Relief Act), extending the Bush-era tax cuts. This new law creates a once-in-a-lifetime planning opportunity that ends at midnight, December 31, 2010.

The new law also presents additional planning opportunities that are less immediate, but no less important. We will discuss those opportunities more generally in the future, but we are writing today to advise you of this unique opportunity and to strongly encourage you to take advantage of it.

Background

Generally, transfers (greater than $13,000 per year) to generations younger than children are subject to what is known as the generation-skipping transfer tax, an onerous tax that equals the maximum gift or estate tax rate. The purpose of this tax, enacted in the late 1980s, is to prevent wealthy individuals from transferring assets to younger generations for the purpose of avoiding application of the estate tax at every generation.

A Unique Opportunity

The 2010 Tax Relief Act creates a unique opportunity to make gifts through December 31, 2010 that are not subject to the generation-skipping transfer tax. This is because, under the new law, the tax rate is zero for any generation-skipping transfer made in 2010.  Beginning January 1, 2011, the tax rate for these transfers will be 35%. In two short years the rate goes back to 55%.

Take Advantage of the Lowest Tax Rates in Decades

I strongly encourage you to consider taking advantage of this rare gift from Congress and consider making transfers to generations younger than children, even if you do not yet have grandchildren. We can help you structure these gifts so that they meet your goals and objectives, regardless of amount.

Wayne B. Ball is an estate planning attorney serving families and businesses in Arkansas for more than 25 years. Wayne B. Ball can be reached at:

Wayne B. Ball

415 N. McKinley, Suite 310

Little Rock, AR 72205

501-687-9000

Fax 501-687-9003

Wayne.ball@ball-stuart.com

www.ball-stuart.com

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