Treasury Regulations (26 C.F.R.)

26 CFR § 26.2653-1

Taxation of multiple skips.

Official textecfr.govlast amended

# (a) General rule.

If property is held in trust immediately after a GST, solely for purposes of determining whether future events involve a skip person, the transferor is thereafter deemed to occupy the generation immediately above the highest generation of any person holding an interest in the trust immediately after the transfer. If no person holds an interest in the trust immediately after the GST, the transferor is treated as occupying the generation above the highest generation of any person in existence at the time of the GST who then occupies the highest generation level of any person who may subsequently hold an interest in the trust. See § 26.2612-1(e) for rules determining when a person has an interest in property held in trust.

# (b) Examples.

The following examples illustrate the provisions of this section:

Example 1. T transfers property to an irrevocable trust for the benefit of T's grandchild, GC, and great-grandchild, GGC,

During GC's life, the trust income may be distributed to GC and GGC in the trustee's absolute discretion. At GC's death, the trust property passes to GGC. Both GC and GGC have an interest in the trust for purposes of chapter 13. The transfer by T to the trust is a direct skip, and the property is held in trust immediately after the transfer. After the direct skip, the transferor is treated as being one generation above GC, the highest generation individual having an interest in the trust. Therefore, GC is no longer a skip person and distributions to GC are not taxable distributions. However, because GGC occupies a generation that is two generations below the deemed generation of T, GGC is a skip person and distributions of trust income to GGC are taxable distributions.

Example 2.

T transfers property to an irrevocable trust providing that the income is to be paid to T's child, C, for life. At C's death, the trust income is to be accumulated for 10 years and added to principal. At the end of the 10-year accumulation period, the trust income is to be paid to T's grandchild, GC, for life. Upon GC's death, the trust property is to be paid to T's great-grandchild, GGC, or to GGC's estate. A GST occurs at C's death. Immediately after C's death and during the 10-year accumulation period, no person has an interest in the trust within the meaning of section 2652(c) and § 26.2612-1(e) because no one can receive current distributions of income or principal. Immediately after C's death, T is treated as occupying the generation above the generation of GC (the trust beneficiary in existence at the time of the GST who then occupies the highest generation level of any person who may subsequently hold an interest in the trust). Thus, subsequent income distributions to GC are not taxable distributions.

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In this part (37 sections)
  1. 26.2600-1 · Table of contents.
  2. 26.2601-1 · Effective dates.
  3. 26.2611-1 · Generation-skipping transfer defined.
  4. 26.2612-1 · Definitions.
  5. 26.2613-1 · Skip person.
  6. 26.2632-1 · Allocation of GST exemption.
  7. 26.2641-1 · Applicable rate of tax.
  8. 26.2642-1 · Inclusion ratio.
  9. 26.2642-2 · Valuation.
  10. 26.2642-3 · Special rule for charitable lead annuity trusts.
  11. 26.2642-4 · Redetermination of applicable fraction.
  12. 26.2642-5 · Finality of inclusion ratio.
  13. 26.2642-6 · Qualified severance.
  14. 26.2642-7 · Relief under section 2642(g)(1).
  15. 26.2651-1 · Generation assignment.
  16. 26.2651-2 · Individual assigned to more than 1 generation.
  17. 26.2651-3 · Effective dates.
  18. 26.2652-1 · Transferor defined; other definitions.
  19. 26.2652-2 · Special election for qualified terminable interest property.
  20. 26.2653-1 · Taxation of multiple skips.
  21. 26.2654-1 · Certain trusts treated as separate trusts.
  22. 26.2662-1 · Generation-skipping transfer tax return requirements.
  23. 26.2663-1 · Recapture tax under section 2032A.
  24. 26.2663-2 · Application of chapter 13 to transfers by nonresidents not…
  25. 26.6011-4 · Requirement of statement disclosing participation in…
  26. 26.6060-1 · Reporting requirements for tax return preparers.
  27. 26.6081-1 · Automatic extension of time for filing generation-skipping…
  28. 26.6107-1 · Tax return preparer must furnish copy of return to taxpayer…
  29. 26.6109-1 · Tax return preparers furnishing identifying numbers for…
  30. 26.6694-1 · Section 6694 penalties applicable to tax return preparer.
  31. 26.6694-2 · Penalties for understatement due to an unreasonable…
  32. 26.6694-3 · Penalty for understatement due to willful, reckless, or…
  33. 26.6694-4 · Extension of period of collection when preparer pays 15…
  34. 26.6695-1 · Other assessable penalties with respect to the preparation…
  35. 26.6696-1 · Claims for credit or refund by tax return preparers.
  36. 26.7701-1 · Tax return preparer.
  37. 26.7701-2 · Definitions; spouse, husband and wife, husband, wife,…
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