Trust" as used in the Internal Revenue Code refers to an arrangement created either by a will or by an inter vivos (see Glossary) declaration whereby Trustees take title to property for the purpose of protecting or conserving it for the Beneficiaries... Living Trusts - 268. lappuseautors: Doug H. Moy - 2004 - 432 lapasIerobežota priekšskatīšana - Par šo grāmatu
| United States. Court of Claims, Audrey Bernhardt - 1962 - 964 lapas
...ordinary rules applied in chancery and probate courts. The beneficiaries of such a trust generally do no more than accept the benefits thereof and are...voluntary planners or creators of the trust arrangement. Even though the beneficiaries do create such a trust, it is ordinarily done to conserve the trust property... | |
| United States. Bureau of Internal Revenue, United States. Internal Revenue Service - 1935 - 502 lapas
...ordinary rules applied in chancery and probate courts. The beneficiaries of such a trust generally do no more than accept the benefits thereof and are...voluntary planners or creators of the trust arrangement. Even though the beneficiaries do create such a trust, it is ordinarily done to conserve the trust property... | |
| United States. Internal Revenue Service - 1936 - 604 lapas
...ordinary rules applied in chancery and probate courts. The beneficiaries of such a trust generally do no more than accept the benefits thereof and are...voluntary planners or creators of the trust arrangement. Even though the beneficiaries do create such a trust, it is ordinarily Art. 1001-3 § 1001 done to... | |
| 1940 - 1806 lapas
...ordinary rules applied in chancery and probate courts. The beneflciarles of such a trust generally ional Archives (U.S.) Even though the beneficiaries do create' such a trust, it is ordinarily done to conserve the trust... | |
| 1939 - 1030 lapas
...ordinary rules applied in chancery and probate courts. The beneficiaries of such a trust generally do no more than accept the benefits thereof and are...voluntary planners or creators of the trust arrangement. Even though the beneficiaries do create such a trust, it is ordinarily done to conserve the trust property... | |
| United States. Internal Revenue Service - 1937 - 874 lapas
...ordinary rules applied in chancery and probate courts. The beneficiaries of such a trust generally do no more than accept the benefits thereof and are...voluntary planners or creators of the trust arrangement. Even though the beneficiaries do create such a trust, it is ordinarily done to conserve the trust property... | |
| 1992 - 616 lapas
...as used in the Internal Revenue Code refers to an arrangement created either by a will or by an mter vivos declaration whereby trustees take title to property...the ordinary rules applied in chancery or probate c°urts. Usually the beneficiaries of a trust do no more than accept benefits thereof and are not the... | |
| 2000 - 816 lapas
..."trust" as used in the Internal Revenue Code refers to an arrangement created either by a will or by an inter vivos declaration whereby trustees take title...conserving it for the beneficiaries under the ordinary roles applied in chancery or probate courts. Usually the beneficiaries of such a trust do no more than... | |
| 1976 - 420 lapas
..."trust" as used in the lnternal Revenue Code refers to an arrangement created either by a will or by an inter vivos declaration whereby trustees take title...property for the purpose of protecting or conserving lt for the beneficiaries under the ordinary rules applied in chancery or probate courts. Usually the... | |
| United States. Internal Revenue Service - 1978 - 630 lapas
...in general, the term "trust" as used in the Code refers to an arrangement created by a will or by an p " EX Generally speaking, an arrangement will be treated as a trust under the Code if it can be shown that... | |
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