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Let's make a deal! minimizing tax cost in asset sales as part of the sale of the family business Gerald R. Nowotny

By: Nowotny, Gerald.
Material type: ArticleArticlePublisher: 2020Subject(s): SOCIEDADES | FUNDACIONES BENÉFICAS | IMPUESTOS | REDUCCIONES TRIBUTARIAS | MALTAOnline resources: Click here to access online In: Journal of Taxation of Investments v. 37, n. 2, Winter 2020, p. 21-32Summary: The author explains how to combine the use of a charitable remainder unitrust (CRUT), with a C corporation as the settlor or grantor of the CRUT, and a Malta Pension Plan in order to eliminate taxation on the liquidation of the corporation. The strategy works to (1) minimize and defer corporate-level taxation and (2) eliminate taxation upon the liquidation of the corporation.
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Disponible también en formato electrónico.

The author explains how to combine the use of a charitable remainder unitrust (CRUT), with a C corporation as the settlor or grantor of the CRUT, and a Malta Pension Plan in order to eliminate taxation on the liquidation of the corporation. The strategy works to (1) minimize and defer corporate-level taxation and (2) eliminate taxation upon the liquidation of the corporation.

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