sjrcpa
Level 15
01-05-2024
02:27 PM
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"the Grantor retains the right to the taxable gain exclusion pursuant to IRC 121"
That's how it would work in a typical Grantor Trust if trust property is sold while Grantor is alive.
But Grantor is dead, and property is sold after death.
Which of Sections 671-677 made it a Grantor Trust?
Sounds like this could be an Intentionally Defective Grantor Trust.
The more I know the more I don’t know.