strongsilence
Level 11

"The powers you cited - 1. appears gives the power to choose on a decedent's estate/trust whether to deduct a given deduction on the 1041 or the 706. 2. appears to give the power to decide the timing of a deduction or income, but my understanding has been."

Since IRS and CA law can't be overridden, does this make the trust defective?

Thank you.

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