Question 22 of 75. When is income in respect of a decedent (IRD) taxed? On the...
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Question 22 of 75. When is income in respect of a decedent (IRD) taxed? On the decedent's final retum. In the taxable year the recipient receives the income. In the taxable year after the recipient receives the income. in the taxable year the estate notifies the recipient of the existence of IRD. Mark for follow up Question 23 of 75. Trust principal, sometimes referred to as the corpus or body of the trust, decreases when: The grantor makes additional contributions to the trust. trust property results in a capital loss 0000 The sale of The trust receives a settlement in a lawsuit The trustee transfers accumulated income not required to be distributed into principal Mark for follow up Question 24 of 75. In 2019, Tariq Hass created a trust for the benefit of his two children, and named the eldest child as the trustee. The trust instrument provided that the income earned from the trust should be distributed annually and an additional $1,000 should be distributed to each beneficiary. What classification best describes this trust? Charitable O Complex Grantor O Simple Mark for follow up Question 25 of 75. A decedent's interest and taxes are deductible on both Forms 706 and 1041 only if: O The decedent's will did not provide instructions. Either item is a deduction in respect of a decedent (DRD). The items were not allowable on the decedent's final return. Both items were received after the decedent's death and were properly includable on their final return Mark for follow up Question 26 of 75. Indirect expenses of a trust are: Nondeductible. Allocated to tax-exempt income. Allocated to taxable income. Allocated pro rata among all types of income. Mark for follow up Question 27 of 75. All of the following apply to a simple trust, EXCEPT: It does not distribute principal It must allow for principal distributions. All income must be distributed currently. It does not allow distributions for charitable contributions. Mark for follow up Question 22 of 75. When is income in respect of a decedent (IRD) taxed? On the decedent's final retum. In the taxable year the recipient receives the income. In the taxable year after the recipient receives the income. in the taxable year the estate notifies the recipient of the existence of IRD. Mark for follow up Question 23 of 75. Trust principal, sometimes referred to as the corpus or body of the trust, decreases when: The grantor makes additional contributions to the trust. trust property results in a capital loss 0000 The sale of The trust receives a settlement in a lawsuit The trustee transfers accumulated income not required to be distributed into principal Mark for follow up Question 24 of 75. In 2019, Tariq Hass created a trust for the benefit of his two children, and named the eldest child as the trustee. The trust instrument provided that the income earned from the trust should be distributed annually and an additional $1,000 should be distributed to each beneficiary. What classification best describes this trust? Charitable O Complex Grantor O Simple Mark for follow up Question 25 of 75. A decedent's interest and taxes are deductible on both Forms 706 and 1041 only if: O The decedent's will did not provide instructions. Either item is a deduction in respect of a decedent (DRD). The items were not allowable on the decedent's final return. Both items were received after the decedent's death and were properly includable on their final return Mark for follow up Question 26 of 75. Indirect expenses of a trust are: Nondeductible. Allocated to tax-exempt income. Allocated to taxable income. Allocated pro rata among all types of income. Mark for follow up Question 27 of 75. All of the following apply to a simple trust, EXCEPT: It does not distribute principal It must allow for principal distributions. All income must be distributed currently. It does not allow distributions for charitable contributions. Mark for follow up
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Related Book For
Federal Taxation 2016 Comprehensive
ISBN: 9780134104379
29th Edition
Authors: Thomas R. Pope, Timothy J. Rupert, Kenneth E. Anderson
Posted Date:
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