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International Estate Planning: A Reference Guide
Barbara Hauser
Price: $175.00 725 pages. 1 Looseleaf Volume. 1 CD-ROM. Index. Appendices. Updated annually or when needed.
ISBN-13: 978-1-57823-228-4 / ISBN-10: 1-57823-228-7
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Book Overview
ABOUT THE AUTHOR INTRODUCTION
PART I : TAX ISSUES 1 CHAPTER ONE - JURISDICTIONAL REACH OF UNITED STATES TAX (FEDERAL ESTATE, GIFT AND GENERATION-SKIPPING TRANSFER TAX) 1.1 OVERVIEW 1.2 UNITED STATES PERSONS 1.2.1 Estate Tax 1.2.2 Gift Tax 1.2.3 Generation-skipping Transfer Tax 1.3 CITIZENS 1.3.1 At Birth 1.3.2 Naturalized 1.3.3 Dual Nationality 1.3.4 American Indian Nations 1.4 RESIDENTS 1.4.1 Domiciliary 1.4.2 "Green card" Holder 1.4.3 Illegal Aliens 1.5 PRACTICAL POINTERS 2 CHAPTER TWO-NON-U.S. PERSONS 2.1 ESTATE TAX 2.1.1 Situs of Assets 2.2.2 Overview 2.2.3 Jointly-owned Property 2.2.4 Marital Property 2.1.5 Real Property 2.1.6 Tangible Personal Property 2.1.7 Currency 2.1.8 Art on Loan for Exhibition 2.1.9 Corporate Securities 2.1.10 Bank Deposits 2.1.11 Debt Obligations 2.1.12 Qualified Portfolio Debt Obligations 2.1.13 Life insurance proceeds 2.1.14 Partnership Interests 2.1.15 Revocable transfers and certain transfers within three years of death 2.1.16 Powers of Appointment 2.1.17 Interest in a lawsuit 2.1.18 Valuation of Assets 2.1.19 Rates of Tax 2.1.20 Credits 2.1.21 Unified Credit 2.1.22 State Death Tax Credit 2.1.23 Gift Tax Credit 2.1.24 Credit for Tax on Prior Transfers 2.1.25 Deductions 2.1.26 Marital Deduction 2.1.27 Expenses 2.1.28 Funeral Expenses 2.1.29 Administration Expenses 2.1.30 Claims 2.1.31 Losses 2.1.32 Indebtedness-mortgages 2.1.33 Taxes 2.1.34 Charitable Deduction 2.1.35 Disclaimers 2.1.36 Required Reporting 2.1.37 Penalties and Enforcement 2.2 GIFT TAX 2.2.1 Application 2.2.2 Unified Credit 2.3 GENERATION-SKIPPING TRANSFER TAX 3 CHAPTER THREE-FOREIGN TRUSTS AND RECEIPT OF FOREIGN GIFTS 3.1 FOREIGN GRANTOR TRUSTS 3.2 ASSET PROTECTION TRUSTS ("APTs") 3.3 RECEIPT OF FOREIGN GIFTS 4 CHAPTER FOUR-EXPATRIATION 4.1 OVERVIEW 4.1.1 Permanent Residents Still Affected 4.1.2 Wealthy Persons Now Subject to the Alternative Tax Regime for Expatriates-Motive is Not Relevant 4.1.2.1 1996 Law Presumed Wealthy Persons had a Tax Avoidance Motive 4.1.2.2 2004 Act-Wealthy Persons are now Subject to the Alternative Tax Regime 4.1.2.3 No Exceptions Unless File Tax-Compliance Certificate 4.1.3 New Notification and Reporting Requirements 4.1.4 Penalties 4.1.5 Publication of Names and Reporting Among Agencies 4.1.6 New Thirty Day Limit 4.2 IMMIGRATION CONSEQUENCES 4.3 TAXATION 4.3.1 Gift Tax 4.3.2 Estate Tax 4.3.3 The Estate Tax Exception: Controlled Foreign Entities with U.S. Assets 5 CHAPTER FIVE-NON-U.S. CITIZEN SPOUSE 5.1 OVERVIEW 5.2 ESTATE TAX 5.2.1 Elimination of Marital Deduction 5.2.2 Jointly Owned Assets 5.2.3 Qualified Domestic Trust 5.2.3.1 Overview 5.2.3.2 U.S. Trustee 5.2.3.3 Regulations 5.2.3.4 Election by Executor 5.2.3.5 Taxation of a QDOT 5.2.3.6 Illustration of Tax Calculation and Credit 5.2.3.7 "Bank or Bond" Requirement 5.2.3.8 Reformation of Trust to Qualify 5.2.4 Nontrust Marital Transfers 5.2.5 Form of Transfer by Surviving Spouse to a QDOT 5.2.6 Deadlines for the Transfers 5.2.7 Subsequent U.S. Citizenship 5.3 GIFT TAX 5.3.1 Elimination of Marital Deduction 5.3.2 Enlargement of Annual Exclusion 5.3.3 Ability to Split Gifts 6 CHAPTER SIX-FOREIGN DEATH TAXES AND U.S. CREDIT 6.1 FOREIGN DEATH TAXES 6.2 U.S. CREDIT FOR FOREIGN DEATH TAX 6.3 DEDUCTION FOR FOREIGN TAX ON CERTAIN CHARITABLE BEQUESTS. 7 CHAPTER SEVEN-ESTATE TAX TREATIES 7.1 OVERVIEW 7.2 ESTATE AND GIFT TAX TREATIES 7.3 PRE-1966 TREATIES Australia (1954) (not currently applicable) Finland (1952)-Estate and Inheritance Greece (1953)-Estate Ireland (1951)-Estate Italy (1956)-Estate and Inheritance Japan (1955)-Estate, Inheritance and Gift Norway (1951)-Estate and Inheritance South Africa (1952)-Estate Switzerland (1952)-Estate and Inheritance 7.4 OECD MODEL CONVENTION 7.5 U.S. TREASURY DEPARTMENT 7.5.1 The 1977 U.S. Model 7.5.2 1979 U.S. Model 7.5.3 1980 U.S. Model 7.6 POST 1966 ESTATE TAX TREATIES Austria (1983)-Estate, Inheritance and Gift Denmark (1984)-Estate, Inheritance and Gift France (1980)-Estate, Inheritance and Gift Germany (1986)-Estate, Inheritance and Gift Netherlands (1971)-Estate, Inheritance and Gift Sweden (1984)-Estate, Inheritance and Gift United Kingdom (1979)-Estate and Gift 7.7 SELECTED ISSUES UNDER THE TREATIES 7.8 CANADA-INCOME TAX PROTOCOL 7.9 REQUIRED FORM TO CLAIM BENEFIT OF TREATY 7.10 CONCLUSION APPENDIX TO PART I
PART II : NON-TAX ISSUES 8 CHAPTER EIGHT-OVERVIEW OF NON-TAX ISSUES AND CONFLICT OF LAWS
8.1 CONFLICT OF LAWS OVERVIEW 8.2 AMERICAN LAW INSTITUTE RESTATEMENT (SECOND) CONFLICT OF LAWS 8.3 TRADITIONAL ENGLISH RULE 8.4 FRENCH CHOICE OF LAW RULES 8.5 HAGUE CONVENTION APPROACH 8.6 THE EUROPEAN PARLIAMENT APPROACH 9 CHAPTER NINE-SELECTING A WILL OR WILLS 9.1 INTRODUCTION 9.2 PREVALENT MISTAKES 9.2.1 Accidental Revocation 9.2.2 "Pour over" Wills (and their Revocable Trusts) 9.3 "SITUS" WILLS: REASONS TO CONSIDER THE USE OF MULTIPLE WILLS 9.3.1 Immovable Property 9.3.2 Elimination of some administration expenses 9.3.3 Clearer application of relevant law 9.3.4 Translations 9.3.5 Selection of Law 9.3.6 Requirements for Validity 9.3.7 Need of an Original Will by the Probate Court 9.3.8 Elimination of a Probate Fee 9.3.9 Confidentiality-if administration is confined to certain assets 9.3.10 Simpler administration in each Jurisdiction 9.4 CHOICE OF LAW ISSUES 9.4.1 Capacity 9.4.2 Bequest to Witness 9.4.3 Revocation Effected by Marriage 9.4.4 Revocation Effected by Divorce 9.4.5 Bequests to Charities or Others 9.5 PROPERTY THAT CAN BE DISPOSED OF BY WILL 9.5.1 Marital Rights and Regimes 9.5.2 Forced Heirship 9.5.3 Other Restrictions 9.6 DRAFTING CONCERNS 9.6.1 Non-revocation Provision 9.6.2 Statement of Residency 9.6.3 Coordination of Beneficiaries 9.6.4 Allocation of Tax Liability 9.6.5 Responsibility for Tax Payment 9.6.6 Authority to Administer 9.6.7 Critical Definitions 9.7 FORMALITIES OF EXECUTION 9.7.1 Recognized Classifications of Wills 9.7.2 Validity of Formalities of Execution 9.7.2.1 Local Law 9.7.2.2 Uniform Probate Code 9.7.2.3 The Washington Convention 9.8 CONCLUSION 10 CHAPTER TEN-USING A TRUST 10.1 GENERAL WARNING 10.2 LACK OF PROBATE PROCEEDING 10.3 NON-RECOGNITION OF THE TRUST AS A LEGAL RELATIONSHIP 10.4 THE HAGUE CONVENTION ON THE RECOGNITION OF TRUSTS 10.5 ENGLISH TRUST LAW 10.5.1 Letter of Wishes 10.5.2 Protector 10.5.3 Termination by Beneficiaries 10.5.4 Spendthrift Trusts 10.5.5 Secret Trusts 10.5.6 "Two Year" Trusts in Wills 10.5.7 Living Trusts 10.6 CHANGES IN TRUST LAW IN THE UNITED STATES 10.6.1 Selected Provisions of the UTC 10.6.2 Rule against Perpetuities 10.6.2.1 Traditional State laws on the Tule Against Perpetuities- The Restatement (Third) of Trusts 10.6.2.2 Uniform Statutory Rule Against Perpetuities (USRAP) 10.6.2.3 Marketing by South Dakota-Beginning of State Law Changes 10.6.2.4 Repeals (or extensions) of the rule against perpetuities 10.7 CHANGES IN TRUST LAW IN OTHER COUNTRIES 11 CHAPTER ELEVEN-RESTRICTIONS ON ALIEN OWNERSHIP 11.1 OWNERSHIP OF LAND IN THE UNITED STATES 11.2 FOREIGN LAND OWNED BY U.S. PERSONS 12 CHAPTER TWELVE-MARRIAGE, MARITAL PROPERTY AND WIDOWS' RIGHTS 12.1 OVERVIEW OF ISSUES 12.2 MARRIAGE 12.2.1 Traditional Definitions of Marriage 12.2.1.1 English Law 12.2.1.2 French Law 12.2.1.3 Japan 12.2.1.4 The Philippines 12.2.1.5 American Indian Marriage 12.2.1.6 The United States 12.2.2 "Common-Law" Marriages 12.2.3 Polygamy 12.2.4 Same Sex "Marriages" 12.2.5 Destination Weddings 12.3 MARITAL PROPERTY 12.3.1 Community Property Regimes 12.3.2 Separate Property Regimes 12.3.3 Religious Property Regimes 12.3.4 Choice of Marital Property Regime 12.4 PRE-MARITAL CONTRACTS 12.5 DURING THE MARRIAGE 12.6 ELECTIVE RIGHTS POST-DEATH 13 CHAPTER THIRTEEN-CHILDREN AND FORCED HEIRSHIP 13.1 OVERVIEW 13.2 FAMILY PROTECTION ACTS 13.3 DEFINITION OF "CHILD" 13.4 DAUGHTERS 13.5 REPRESENTATIVE RULES 13.5.1 Statutory shares 13.5.2 Muslim Succession 13.5.3 Polish approach 13.4 EFFECT OF LIFETIME TRANSFERS 13.4.1 "Claw Back" additions 13.4.2 Donee Heir additions 13.5 CHOICE OF LAW ISSUES 14 CHAPTER FOURTEEN-USE OF DOCUMENTS ABROAD 14.1 WILLS 14.2 HAGUE CONVENTION OF THE CONFLICT OF LAWS RELATING TO THE FORM OF TESTAMENTARY DISPOSITIONS (OCTOBER 5, 1961) 14.3 TRUSTS 14.4 HAGUE CONVENTION ON THE LAW APPLICABLE TO TRUSTS AND ON THEIR RECOGNITION (JULY 1, 1985) 14.5 POWERS OF ATTORNEY 14.6 LIVING WILLS 15 CHAPTER FIFTEEN-PROBATE MATTERS 15.1 HAGUE CONVENTION CONCERNING THE INTERNATIONAL ADMINISTRATION OF THE ESTATES OF DECEASED PERSONS (OCTOBER 2,1973) 15.2 DEATH ABROAD Resources
A. Periodicals B. Treatises on International Estate Planning C. Miscellaneous References
Organizational Assistance APPENDIX I. INTERNATIONAL TAX TREATIES Austria APP. I-3 Canada APP. I-17 Denmark APP. I-27 Finland APP. I-41 France APP. I-69 France Protocol APP. 1-67 Germany APP. I-69 Greece APP. I-89 Ireland APP. I-97 Italy APP. I-103 Japan APP. I-109 Netherlands APP. I-117 Norway APP. I-133 South Africa APP. I-141 Sweden APP. I-151 Switzerland APP. I-167 United Kingdom APP. I-173 II. SELECTED HAGUE CONVENTIONS XI. Convention on the Conflicts of Laws Relating to the Form of Testamentary Dispositions (Concluded October 5, 1961) APP. II-3 XII. Convention Abolishing the Requirement of Legalisation for Foreign Public Documents (Concluded (October 5, 1961) APP. II-11 XXI. Convention Concerning the International Administration of the Estates of Deceased Persons (Concluded October 5,1961) APP. II-19 XXV. Convention on the Law Applicable to Matrimonial Property Regimes (Concluded March 14, 1978) APP. II-39 XXVI. Convention on Celebration and Recognition of the Validity of Marriages (Concluded March 14, 1978) APP. II-51 XXX. Convention on the Law Applicable to Trusts and on Their Recognition (Concluded July 1, 1985) APP. II-61 XXXII. Convention on the Law Applicable to succession to the Estates of Deceased Persons (Concluded on August 1, 1989) APP. II-71 XXXV. Convention on the International Protection of Adults APP. II-83 Private International Law Aspects of Cohabitation Outside Marriage and Registered Partnerships APP. II-103
III. UNITED STATES INTERNAL REVENUE SERVICE FORMS AND NOTICES IRS Form 706NA United States Estate (and Generation-Skipping Transfer) Tax Return-Estate of nonresident not a citizen of the United States) and Instructions APP. III-3 IRS Form 706-QDT (U. S. Estate Tax Return for Qualified Domestic Trusts APP. III-5 IRS Form 3520 (Annual Return to Report Transactions With Foreign Trusts and Receipt of Certain Foreign Gifts) and Instructions APP. III-15 IRS Form 3250-A (Annual Information Return of Foreign Trust with a U.S. Owner) and InstructionsAPP. III-33 IRS Form 8854 (Expatriation Information Statement) and Instructions APP. III-41 Notice 97-19 (Internal Revenue Bulletin 1997-10, March 10, 1997) APP. III-46 Notice 98-34 (Internal Revenue Bulletin 1998-27, July 6, 1998) APP. III-55 IRS Criminal Investigation Report: "Abusive Trust Schemes" APP. III-65 IRS DATA RELEASE: Federal Estate Tax Returns Filed for Nonresident Aliens, 1997 and 1998 APP. III -75 IV. MISCELLANEOUS
"Dual Nationality"-U.S. State Department APP. IV-3"Acquisition of U.S. Citizenship by a Child Born Abroad"-U.S. State Department APP. IV-3 "Acquisition of U.S. Citizenship by a Child Born Abroad"- U.S. State Department APP. IV-5 "Advice About Possible Loss of U.S. Citizenship and Dual Nationality"-U .S. State Department APP. IV-7 U.S. Code, Title 8, Section 1481: "Loss of Nationality by Native-Born or Naturalized Citizen; Voluntary Actions; Burden of Proof, Presumptions" APP. IV-13 "Renunciation of U.S. Citizenship"-U.S. State Department APP. IV-15 "Marriage of United States Citizens Abroad"-U.S. State Department APP. IV-19 "Marriage of American Citizens in Italy"-U.S. State Department APP. IV-23 "Marriage in Spain"-U.S. State Department APP. IV-27 "Divorce Overseas"-U.S. State Department APP. IV-31 "Consular Report of Death of a U.S. Citizen Abroad"-U.S. State Department APP. IV-39 "Intercountry Transfer of the Proceeds of an Estate"-U.S. State Department APP. IV-41 "Application for Immigrant Visa and Alien Registration"-U.S. State Department APP. IV-45 Form I-485 "Application to Register Permanent Resident or Adjust Status" with Instructions-Department of Homeland Security APP. IV-49
Form I-130 "Petition for Alien Relative" with Instructions-Department of Homeland Security APP. IV-61
Form I-864 "Affidavit of Support under Section 213A of the Act" with Instructions-Department of Homeland Security APP. IV-67
Form I-864P "Poverty Guidelines"-Department of Homeland Security APP. IV-86
Form I-693 "Medical Examination of Aliens Seeking Adjustments of Status" with Instructions-Department of Homeland Security APP. IV-87
Colorado Attorney General "Information Sheet on Common-Law Marriage" APP. IV-97 "The Vermont Guide to Civil Unions"-Vermont Secretary of State APP. IV-99
Index
CD-ROM TABLE OF CONTENTS
I. INTERNATIONAL TAX TREATIES
Austria Canada Denmark Finland France France Protocol Germany Greece Ireland Italy Japan Netherlands Norway South Africa Sweden Switzerland United Kingdom
II. SELECTED HAGUE CONVENTIONS XI. Convention on the Conflicts of LawsRelating to the Form of Testamentary Dispositions (Concluded October 5, 1961)
XII. Convention Abolishing the Requirement of Legalisation for Foreign Public Documents (Concluded October 5, 1961)
XXI. Convention Concerning the International Administration of the Estates of Deceased Persons
XXV. Convention on the Law Applicable to Matrimonial Property Regimes (Concluded March 14, 1978)
XXVI. Convention on Celebration and Recognition of the Validity of Marriages (Concluded March 14, 1978)
XXXI. Convention on the Law Applicable to Trusts and on their Recognition (Concluded July 1, 1985)
XXXII. Convention on the Law Applicable to Succession to the Estates of Deceased Persons (Concluded on August 1, 1989)
XXXV. Convention on the International Protection of Adults
Private International Law Aspects of Cohabitation Outside Marriageand Registered Partnerships
IRS Form 706NA United States Estate (and Generation-Skipping Transfer) Tax Return—Estate of Nonresident not a Citizen of theUnited States)
IRS Form 706-QDT (U. S. Estate Tax Return for Qualified Domestic Trusts
IRS Form 3520 (Annual Return to ReportTransactions With Foreign Trusts and Receipt of Certain Foreign Gifts) and Instructions
IRS Form 3520-A Annual Information Return Of Foreign Trust with a U.S. Owner (Under section 6048(b)) and Instructions
IRS Form 8854 (Initial and Annual Expatriation Information Statement) and Instructions
Notice 97–19 (Internal Revenue Bulletin1997—10, March 10, 19)
Notice 98–34 (Internal RevenueBulletin 1998–27, July 6, 1998)
IRS Criminal Investigation Report “Abusive Foreign Trust Schemes”
IRS DATA RELEASE: Federal Estate Tax Returns Filed for Nonresident Aliens, 2003, 2004, and 2005
IV. MISCELLANEOUS
“Dual Nationality”—U.S. State Departm
“Acquisition of U.S. Citizenship by a Child Born Abroad
“Advice About Possible Loss ofU.S.Citizenship and Dual Nationality”—U.S. State Department
U.S. Code, Title 8, Section 1481: “Loss of Nationality by Native-Born or Naturalized Citizen; Voluntary Action; Burden of Proof, Presumptions”
“Renunciation of U.S. Citizenship”—U.S. State Department
“Marriage of United StatesCitizens Abroad”—U.S. State Departmen
“Marriage of AmericanCitizens in Italy”—U.S. State Department
“Marriage in Spain”—U.S. State Department
“Divorce Overseas”—U.S. State Department
“Consular Report of Deathof a U.S. Citizen Abroad”—U.S. State Department
“Intercountry Transfer of theProceeds of an Estate”—U.S. State Department
“Application for Immigrant VisaAnd Alien Registration”—U.S. State Department Form I-485 “Application to Register PermanentResident or Adjust Status” No. 51 Form I-485
Form I-130 “Petition for Alien Relative”with Instructions—Department of Homeland Security
Form I-864 “Affidavit of Support underSection 213A of the Act” with Instructions—Department of Homeland Security
“Poverty Guidelines”—Department of Homeland Security
Form I-693 “Medical Examination of AliensSeeking Adjustment of Status” with Instructions—Department of Homeland Security
Colorado Attorney General“Information Sheet on Common-Law Marriage”
“The Vermont Guide to Civil Unions”—Vermont Secretary of State
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