On May 14, 1919, decedent set up six trusts, appointing life estates with remainders over. Each trust deed provided: This Trust may, during the lifetime of the Grantor, be amended or revoked on the joint consent of the Grantor and the Trustees. The remainderman, who was the same person in each trust, was also one of the three trustees. Decedent died on September 4, 1928. The Board of Tax Appeals sustained the contention of the Commissioner of Internal Revenue that the value of the life estates should be included in the decedent\u27s gross estate by virtue of section 302 (c) of the Revenue Act of 1926, as gifts intended to take effect in possession or enjoyment at or after his death. On appeal it was held, by a two to one decision, that ...
Decedent was a participant in a company profit-sharing savings and retirement trust. Under the terms...
In 1925 and 1926 decedent and his wife created two trusts, decedent contributing 80 per cent, and hi...
The decedent purchased several single-premium annuity contracts, the annuity payments to be made to ...
Decedent, an attorney, in 1925, at the age of sixty-nine, established two spendthrift trusts-one for...
Decedent, when eighty years old and while still in good health, set up an irrevocable trust of one-t...
In 1919 decedent transferred property in irrevocable trust, income to be paid to X for life and on X...
In 1928, decedent established a trust giving his wife the income for her life, with a remainder to h...
In 1936 decedent established an irrevocable trust naming herself and relatives as beneficiaries. The...
Decedent, an attorney, in 1925, at the age of sixty-nine, established two spendthrift trusts-one for...
A trust, established in 1908, reserved a power to the settlor to alter or amend the provisions of th...
In 1935 the settler irrevocably conveyed to himself as trustee in trust for his sons corporate stock...
On December 19, 1930 the petitioner created two trusts, placing in the first five $100,000 life insu...
On December 19, 1930 the petitioner created two trusts, placing in the first five $100,000 life insu...
Before the enactment of the 1924 gift tax statute, decedent created a trust for the benefit of named...
In 1929 the decedent established a trust, reserving a life estate in the income. On the termination ...
Decedent was a participant in a company profit-sharing savings and retirement trust. Under the terms...
In 1925 and 1926 decedent and his wife created two trusts, decedent contributing 80 per cent, and hi...
The decedent purchased several single-premium annuity contracts, the annuity payments to be made to ...
Decedent, an attorney, in 1925, at the age of sixty-nine, established two spendthrift trusts-one for...
Decedent, when eighty years old and while still in good health, set up an irrevocable trust of one-t...
In 1919 decedent transferred property in irrevocable trust, income to be paid to X for life and on X...
In 1928, decedent established a trust giving his wife the income for her life, with a remainder to h...
In 1936 decedent established an irrevocable trust naming herself and relatives as beneficiaries. The...
Decedent, an attorney, in 1925, at the age of sixty-nine, established two spendthrift trusts-one for...
A trust, established in 1908, reserved a power to the settlor to alter or amend the provisions of th...
In 1935 the settler irrevocably conveyed to himself as trustee in trust for his sons corporate stock...
On December 19, 1930 the petitioner created two trusts, placing in the first five $100,000 life insu...
On December 19, 1930 the petitioner created two trusts, placing in the first five $100,000 life insu...
Before the enactment of the 1924 gift tax statute, decedent created a trust for the benefit of named...
In 1929 the decedent established a trust, reserving a life estate in the income. On the termination ...
Decedent was a participant in a company profit-sharing savings and retirement trust. Under the terms...
In 1925 and 1926 decedent and his wife created two trusts, decedent contributing 80 per cent, and hi...
The decedent purchased several single-premium annuity contracts, the annuity payments to be made to ...