Using a trust to satisfy a husband\u27s\u27 obligation to support his wife after divorce can be an appealing option. However, a trust in connection with divorce generates taxation problems, such as whether the husband or the wife should be taxed for trust income. Three fundamental questions arise from this problem: (1) Should a wife who receives trust payments meeting the requirements of section 71 be taxed in full on those payments, or taxed only on payments characterized as distributions of trust income under the trust conduit rules? (2) Should the husband or the wife be taxed on the income of a trust created as part of a divorce settlement but not complying with the conditions of section 71? (3) Is the transfer of property to an alimony ...
This 2002 article explores the tax consequences of transfers in divorce and suggests how the tax con...
Taxpayer and his wife voluntarily entered into a written agreement of separation. Pursuant to the ag...
The taxation of trust income is subject to inherent problems due to the nature of the trust itself w...
Using a trust to satisfy a husband\u27s\u27 obligation to support his wife after divorce can be an a...
Three recent decisions of the Supreme Court of the United States, Helvering v. Fitch, Helvering v. L...
Full-text available at SSRN. See link in this record.This article addresses an important United Stat...
Today it is common procedure for a husband and wife, contemplating divorce or separation, to make an...
P, divorced wife of D, brought this action for alimony and for support money for her children. The o...
This article traces the evolving judicial interpretation of the “adequate and full consideration” ex...
The Tax Reform Act of 1984 made substantial changes affecting the tax consequences of divorce. This ...
The marital property provisions of the new Missouri divorce law render the tax treatment of property...
Respondent taxpayer transferred stock to his former wife pursuant to a voluntary property settlement...
A testamentary trust required the trustee to apply income in such amounts as might be necessary for ...
For tax purposes, payments from one spouse to the other will be classified as alimony if they fit wi...
When a marriage dissolves there are tax consequences for everything from distribution of property to...
This 2002 article explores the tax consequences of transfers in divorce and suggests how the tax con...
Taxpayer and his wife voluntarily entered into a written agreement of separation. Pursuant to the ag...
The taxation of trust income is subject to inherent problems due to the nature of the trust itself w...
Using a trust to satisfy a husband\u27s\u27 obligation to support his wife after divorce can be an a...
Three recent decisions of the Supreme Court of the United States, Helvering v. Fitch, Helvering v. L...
Full-text available at SSRN. See link in this record.This article addresses an important United Stat...
Today it is common procedure for a husband and wife, contemplating divorce or separation, to make an...
P, divorced wife of D, brought this action for alimony and for support money for her children. The o...
This article traces the evolving judicial interpretation of the “adequate and full consideration” ex...
The Tax Reform Act of 1984 made substantial changes affecting the tax consequences of divorce. This ...
The marital property provisions of the new Missouri divorce law render the tax treatment of property...
Respondent taxpayer transferred stock to his former wife pursuant to a voluntary property settlement...
A testamentary trust required the trustee to apply income in such amounts as might be necessary for ...
For tax purposes, payments from one spouse to the other will be classified as alimony if they fit wi...
When a marriage dissolves there are tax consequences for everything from distribution of property to...
This 2002 article explores the tax consequences of transfers in divorce and suggests how the tax con...
Taxpayer and his wife voluntarily entered into a written agreement of separation. Pursuant to the ag...
The taxation of trust income is subject to inherent problems due to the nature of the trust itself w...