The purpose of this notice is to extend the June 28, 2005, grandfather
date in Rev. Proc. 2005-24, 2005-16, I.R.B. 909, until further guidance is
issued by the Internal Revenue Service.
Rev. Proc. 2005-24 applies to any charitable remainder annuity trust
(CRAT) or charitable remainder unitrust (CRUT) that is created by the grantor, G,
if, under applicable state law, G’s surviving spouse, S,
has a right of election exercisable on G’s death
to receive an elective, statutory share of G’s
estate, and such share could be satisfied in whole or in part from the assets
of the CRAT or CRUT in violation of § 664(d)(1)(B) or (d)(2)(B)
of the Internal Revenue Code. Rev. Proc. 2005-24 provides a safe harbor procedure
under which the Service will disregard the right of election for purposes
of determining whether the CRAT or CRUT meets the requirements of § 664(d)(1)(B)
or (d)(2)(B) continuously since its creation, if S irrevocably
waives the right of election in the manner prescribed in the revenue procedure.
For trusts created before June 28, 2005, the Service will disregard the right
of election, even without a waiver, but only if S does
not exercise the right of election.
Commentators have asserted that Rev. Proc. 2005-24 places an undue burden
on taxpayers and trustees seeking to comply with the safe harbor rule. Some
commentators have recommended that the Service withdraw the revenue procedure.
Other commentators have suggested alternative safe harbor rules. The Service
and Treasury are reconsidering the approach of Rev. Proc. 2005-24, including
the safe harbor rule. The Service and Treasury are also considering alternative
safe harbor rules. Consequently, the Service is extending the June 28, 2005,
grandfather date. Until further guidance is published regarding the effect
of a spousal right of election on a trust’s qualification as a CRAT
or CRUT, the Service will disregard the existence of such a right of election,
even without a waiver as described in Rev. Proc. 2005-24, but only if the
surviving spouse does not exercise the right of election.
The principal author of this notice is Susan H. Levy of the Office of
Associate Chief Counsel (Passthroughs and Special Industries). For further
information regarding this notice, contact Susan H. Levy at (202) 622-3090
(not a toll-free call).
You can either: Search all IRS Bulletin Documents issued since January 1996, or Search the entire site. For a more focused search, put your search word(s) in quotes.