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Obviously, the marriage by the donor after the establishment of a CRT can implicate the need for a waiver.
According to Rev. Proc., the waiver must be executed by the donor’s spouse no later than six months after the due date — excluding extensions — of the trust’s tax return for the year in which the first of the following events occurs:
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- Companies:
- Internal Revenue Service
Kathleen Stephenson
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Lisa B. Petkun
Author's page
Lisa B. Petkun is a partner in the tax department at Pepper Hamilton LLP.
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