News & Events

A Volatile Estate Tax Reduction Concoction: The Use Of Partnerships, Marketable Assets, And GRATs (ParmaGRATs)

Written by Harrison LLP | Nov 1, 2008 9:41:34 PM

 

Journal of Passthrough Entities

In past articles we have discussed the continued viability of Grantor Retained Annuity Trust (“GRAT”) and partnership planning in today’s estate tax reduction environment. [Insert cites from prior JPTEs.] There is noise that the GRAT as we know it could be legislated away, and yet there are no pending bills to achieve that.

Read entire article here.