Question: Using Research Problem 1 found on page 28-37 in the textbook, prepare a memo to the tax research file addressing Juan concerns. Grinder Ltd. is

Using Research Problem 1 found on page 28-37 in the textbook, prepare a memo to the tax research file addressing Juan concerns.

Grinder Ltd. is an S corporation that is wholly owned by Juan Plowright. Because several of Juans ancestors have had Alzheimers disease, Juan is transferring many of his assets to trusts, and he is funding living wills in anticipation of future medical issues. Juan wants to transfer his Grinder stock to a trust, but he wants to keep control over its operations for as long as possible. Thus, he wants to retain a right to revoke the trust, until such time as the trustee (a Grinder executive who is on good terms with Juan) and a medical professional determine that Juan no longer is competent. You have explained to Juan that this entity is a grantor trust and that there are no income-shifting or transfer-tax-saving aspects in using such a trust. The pertinent tax issues to be addressed are summarized below.

Does the grantor trust terminate Grinders status as an S corporation?

Will Grinders S election survive Juans death? Under the terms of Juans will, the S shares will be held by his estate and not be distributed to his niece Beatriz until she reaches age 25. All parties are residents of New Mexico.

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