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Feature
- Malaysia: Wealth management and tax planning in the wake of COVID-19
Case Summaries
Brazil
- Private Letter Ruling No. 41 of 31 March 2020 — tax treatment of trust distributions to Brazilian beneficiaries
France
- Wealth tax — The refusal to benefit from the 30% allowance on the market value of the principal residence held through a real estate company (French SCI) is constitutional
United States
- US IRS private ruling — Modifications to trust agreement and creation of successor trusts did not cause unfavorable tax treatment for the trust
- US beneficiaries may claim withholding tax credit for foreign non-grantor trust distributions
Legislative Developments
Argentina
- Argentina offers repatriation of 5% of assets located abroad to obtain a reduction of the applicable Personal Assets Tax rate
Brazil
- Changes in the Transfer and Gift Tax (“ITCMD”) legislation
United States
- Reduced interest rates offer family estate planning opportunities amid crisis
- IRS requests comments concerning information reporting on transactions with foreign trusts and on gifts from foreign persons
- High net worth taxpayers face IRS wealth squad