Indiana Administrative Code — Title 45 (Dept. of State Revenue)
45 IAC 3.1-1-113
Withholding on distributions to nonresident beneficiaries of Indiana trusts and estates
Sec. 113. Withholding on Distributions To Nonresident Beneficiaries of Indiana Trusts and Estates. Beginning January 1, 1978, Indiana
trusts and estates distributing income subject to withholding to nonresident beneficiaries are required to withhold adjusted gross income tax from
such distribution. "Income subject to withholding" is defined as all income subject to adjusted gross income tax, except interest and dividends. An
allowance is made for expenses, administrative fees, a personal exemption, and other allowable adjustments. Examples of income subject to
withholding include farm income, business income, and rents and royalties from Indiana real estate.
These withholding provisions apply only to distributions to nonresident beneficiaries. A beneficiary's residency should be determined at
the time of distribution. However, if a resident beneficiary later becomes a nonresident, the fiduciary is required to withhold on all subsequent
payments to that beneficiary. Part-year residents and nonresidents should take credit on their adjusted gross income tax returns for any tax
withheld.
The withholding rate for these fiduciaries is two percent (2%). Any deficiency in taxes withheld and remitted to the state will subject the
trust or estate to the penalties and interest imposed by IC 6-3-6. The Department may, at its option, require the withholding agent to post
a bond to ensure payment of the tax.
Amendment history
(Department of State Revenue; Reg 6-3-4-15(010); filed Oct 15, 1979, 11:15 am: 2 IR 1553; errata, 2 IR 1743)
Source: view the official text
Nearby sections (25 sections)
- 3.1-1-101 · Annual reconciliation of employers' withholding tax
- 3.1-1-102 · Changes in form WH-4
- 3.1-1-103 · Refund or credit for excess withholding
- 3.1-1-104 · Information returns (Repealed)
- 3.1-1-105 · Annual return of partnership or trust fund
- 3.1-1-106 · Partner's distributive share
- 3.1-1-107 · Partnership withholding requirements
- 3.1-1-108 · Partnership withholding returns
- 3.1-1-109 · Withholding requirements for subchapter S corporations
- 3.1-1-110 · Consolidated returns of affiliated groups
- 3.1-1-111 · Membership in affiliated groups; bank holding companies
- 3.1-1-112 · Consolidated returns for other taxes not required
- 3.1-1-113 · Withholding on distributions to nonresident beneficiaries…
- 3.1-1-114 · Withholding returns and payments by trusts and estates
- 3.1-1-115 · Reciprocal agreement states
- 3.1-1-116 · Credit against liability instead of refund (Repealed)
- 3.1-1-117 · Payment of refunds; interest (Repealed)
- 3.1-1-118 · Demand for additional taxes (Repealed)
- 3.1-1-119 · Penalty for nonpayment (Repealed)
- 3.1-1-120 · Penalty for fraudulent nonpayment (Repealed)
- 3.1-1-121 · Failure to timely file or pay; penalty (Repealed)
- 3.1-1-122 · Jeopardy assessment and collection (Repealed)
- 3.1-1-123 · Penalty for failure to file information returns (Repealed)
- 3.1-1-124 · Preparation of return by department; penalty (Repealed)
- 3.1-1-125 · Time limitation on assessment by department (Repealed)