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Upon the death of the primary beneficiary, there might be death taxes charged to the CRT — attributable to the successor beneficiary’s interest. This can occur if state law provides for the equitable apportionment of any federal estate or state death taxes imposed on his death, as well as the payment of taxes from the CRT assets.
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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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