Estate Planning in 2015 and Beyond



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Estate Planning in 2015 and Beyond 09.21.2015 United Capital Webinar Michael E. Kitces MSFS, MTAX, CFP, CLU, ChFC, RHU, REBC, CASL Partner. Director of Research, Pinnacle Advisory Group Publisher. The Kitces Report, www.kitces.com Blogger. Nerd s Eye View, www.kitces.com/blog Twitterer. @MichaelKitces, www.twitter.com/michaelkitces Handouts/Additional Materials at: kitces.com/uc-q4 The Sunsets of the Fiscal Cliff Economic Growth & Tax Relief Reconciliation Act of 2001 & JGTRRA of 2003 ( the Bush tax cuts ) Sunset provisions scheduled for December 31, 2010 Tax Relief, Unemployment Insurance Reauthorization, and Job Creation Act of 2010 Kicked the ball forward for 2 more years Compromise legislation finally resolved with the American Taxpayer Relief Act of 2012 ATRA was permanent legislation! 1

The American Taxpayer Relief Act of 2012 ATRA made permanent key estate tax rules Exemption stayed at (inflation-indexed) $5M Up to $5.43M for 2015 Gift and estate tax systems remained unified State estate tax deduction remained State estate tax credit permanently gone Top estate (& gift & GST) rate rises to 40%... but made permanent! Portability of estate tax exemption now permanent Estate Planning in 2015 & Beyond Scope of estate tax declining dramatically Heckerling estimates ~4,000 taxable estates annually now And only ~half of those are taxable! Filings for portability rising, but tax exposure still declining 120000 100000 80000 60000 Estate Tax Returns Filed (Total & Taxable) 40000 20000 0 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 Total Returns Filed Taxable Returns Filed 2

State Estate Tax Legislation States have been revisiting their estate tax legislation No longer hoping for return of state estate tax credit State decoupling 2.0 States lost Federal (gift) system backing their exemptions Establish gift tax, gift-in-contemplation-of-death, recouple, or repeal? Recoupling solves lack of state portability as well Rules/Requirements for Portability Portability allows a surviving spouse to carry over the Deceased Spouse s Unused Exclusion Amount (DSUEA) Available to surviving spouse in addition to his/her own $5.43M basic exclusion amount (BEA) BEA indexed over time Carryover DSUEA amount is not indexed! 3

Rules/Requirements for Portability Requires an estate tax return to be timely filed Only available for deaths that had occurred after 2010 Simplified filing requirements for nontaxable estates No proactive election to be made, beyond actually filing the return Only opt out if not desired Applies for gift and estate tax exemptions Does not apply for GST exemption, though No state conformity at this point Examples of Portability Harold leaves $4M to wife Betty Marital deduction reduces taxable estate to $0 Harold s unused exemption: $5.43M portable to Betty Betty s (new) available exemption: $5.43M + $5.43M = $10.86M Harold leaves $1M to Betty and $3M to his children Marital deduction only $1M Remaining estate uses $3M of $5.43M exemption Exemption ported to Mary: $2.43M Betty s (new) available exemption: $5.43M + $2.43M = $7.86M 4

Planning for Portability The decline of the bypass trust No longer necessary to preserve the estate tax exemption amount at the death of first spouse $5.43M Exemption Decedent s Estate Excess above Exemption Bypass Trust Income Spouse / Marital Trust Spouse s Personal Assets Exempt Assets Future Beneficiaries $5.43M Exemption Planning for Portability The rise of the I love you Will Honey I leave you everything, including my assets and my estate tax exemption! Decedent s Estate Everything! Spouse Future Beneficiaries $5.43M + $5.43M = $10.86M Exemption 5

Planning for Portability When bypass trusts remain relevant Sheltering future growth from exposure $5.43M Exemption Amount Decedent s Estate Decedent s Estate Portable $5.43M Exemption 20 years of growth @ 8% Bypass Trust Spouse 20 years of growth @ 8% ~$25.3M estate tax exempt Future Beneficiaries Future Beneficiaries ~$25.3M estate sheltered by $5.43M exemption!? Planning for Portability When bypass trusts remain relevant State estate tax planning Relevant for (still) decoupled states Using GST exemption for multi-generational trusts GST exemption not portable at all! Protecting exemption for/from remarriage Asset protection and other non-tax reasons for trusts 6

Planning for Portability Do you really want to create a bypass if you don t haveto? Impact on step-up in basis: $5.43M Exemption Decedent s Estate Decedent s Estate Step-up #1 Step-up #1 Excess above Exemption Everything! No #2 Step-up Exempt Assets Bypass Trust Income Spouse Spouse Step-up #2 $5.43M + $5.43M = $10.86M Exemption Future Beneficiaries Future Beneficiaries Planning for Portability Do you really want to create a bypass if you don t have to? Unfavorable trust income taxation Top tax rate 39.6% at only $12,300 of taxable trust income 20% long-term capital gains, 20% qualified dividends, 3.8% Medicare surtax also apply Doesn t apply if income passes through DNI deduction for trust But does that defeat the purpose of the trust? 7

Estate Planning in 2015 3 types of clients High net worth (HNW) exposed to estate tax Net worth of $10M+ Potentially HNW might be exposed some day Net worth that could grow (if client is young enough?) Ongoing gifting to keep clients from crossing the line? Everyone else Estate Planning in 2015 Most clients will no longer have a Federal estate tax problem going forward! Will it be difficult to motivate estate planning? Will permanence finally pull fence sitters out? 8

Estate Planning in 2015 Any estate tax planning that remains will be primarily a state issue rather than Federal Bypass trusts remain relevant at state level But is it worth unfavorable income taxes & also losing step-up in basis? It s not about what state the client livesin, but what state the client dies in! Will clients be relocating (after 1 st death?) Challenges of mismatched state/federal exemptions Lifetime gifting & SLAT strategies? Estate Planning in 2015 Introducing the Spousal Lifetime Access Trust (SLAT) Structured similar to bypass trust May distribute or retain income May distribute or retain principal Typically restricted to HEMS Funded during life, not during death Avoids state limitations when there s no gift tax Can be done for both spouses But watch out for reciprocal trust doctrine 9

Estate Planning in 2015 Estate planning will shift away from estate tax planning Renewed focus on real estate planning: the disposition of assets, including management, control, and protection Providing for the needs and care of children/family Still especially relevant for businesses! Asset, divorce, & spendthrift protection Revocable living trusts still useful for probate avoidance Estate Planning in 2015 Estate planning will shift away from estate tax planning Income tax ramifications of estate planning decisions Preserving step-up in basis at death Asset titling impact on step-up? Avoiding trust tax rates where feasible? Using portability to shelter IRAs Are disclaimer trusts just unnecessary complexity? 10

Estate Planning in 2015 Greater attention to supporting documents Powers of Attorney Health Care Powers of Attorney Advanced Medical Directives Filing Form 706 returns will rise, though, to maintain portability carryover How small is too small for an estate to file a return? Simplified filing will help? Transitioning Estate Planning in 2015 Unwinding estate planning strategies for income tax benefits? Updating documents to remove bypass trusts? Shifting distributions to existing bypass trusts? Busting QPRTs? Re-evaluating FLPs? Unwinding ILITS? But don t breach fiduciary duties of trustees! 11

Estate Tax Legislation in the future Further crackdowns on estate planning coming Generally targeted at ultra-high-net-worth Minimum time limit (10 yrs?) for GRATs Restrictions on FLPs & valuation discount strategies Elimination of IDGT strategies Maximum duration for GST? Limitations on stretch IRAs? But relief on RMDs for small accounts? Estate Tax Legislation in the future What s else might change: Top rate: Maybe Exemption: Unlikely Year Exemption Top Rate 1916 $50,000 10% 1917 $50,000 25% 1918-1923 $50,000 25% 1924-1925 $50,000 40% 1926-1931 $100,000 20% 1932-1933 $50,000 45% 1934 $50,000 60% 1935-1939 $40,000 70% 1940 $40,000 70% 1941 $40,000 77% 1942-1976 $60,000 77% 1977 $120,000 70% 1978 $134,000 70% 1979 $147,000 70% 1980 $161,000 70% 1981 $175,000 70% 1982 $225,000 65% 1983 $275,000 60% 1984 $325,000 55% Year Exemption Top Rate 1985 $400,000 55% 1986 $500,000 55% 1987-1997 $600,000 55% 1998 $625,000 55% 1999 $650,000 55% 2000-2001 $675,000 55% 2002 $1,000,000 50% 2003 $1,000,000 49% 2004 $1,500,000 48% 2005 $1,500,000 47% 2006 $2,000,000 46% 2007 $2,000,000 45% 2008 $2,000,000 45% 2009 $3,500,000 45% 2010 Repealed N/A 2011 $5,000,000 35% 2012 $5,120,000 35% 2013 $5,250,000 40% 2014 -??? $5,340,000 40% 12

Summary Permanent increase of estate tax exemption removes most from scope of Federal estate tax Focus on maximizing step-up in basis instead Portability simplifies planning & reduces need for bypass trusts State estate tax dominant theme for many clients Watch out for changes to state estate tax systems! From estate tax planning to real estate planning Questions? Handouts & additional materials: www.kitces.com/uc-q4 Contact: michael@kitces.com 13