Tax Guide |
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While the unlimited estate and gift tax marital deductions apply only to the value of property transferred to your spouse, each estate is entitled to a "unified credit" (also known as the "applicable credit amount" or "applicable exclusion amount.)" As a result of this credit, total lifetime gifts and transfers at death up to the applicable exclusion amount are exempt from tax.
Applicable Exclusion Amount | |
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2009 | $3,500,000 |
2010 (opt-out of estate tax) | N/A |
2010 (opt-in to estate tax) | $5,000,000 |
2011 | $5,000,000 |
2012 | $5,120,000 |
2013 and beyond | $5,250,000 |
The unlimited marital deduction shields the entire value of the estate from tax for the first spouse to die. However, if the surviving spouse does not remarry, then only the amount protected by the application exclusion amount is shield from tax. This can create a significant tax burden on the children; one which could be avoided by advance planning. This is generally accomplished using a credit shelter bequest, which often takes the form of a trust.
However, beginning in 2011, there is an additional option to consider regarding the applicable exclusion amount: passing the amount of the first-to-die to the surviving spouse. The current law provides that estate of a surviving spouse (the second-to-die-spouse) can use any portion of the first-to-die-spouse's applicable exclusion amount. To take advantage of this provision, a special election must be by the predeceased spouse's estate. This election is made on the federal estate tax form (Form 706). Thus, a Form 706 must be filed, even if there is no estate tax due, in order to benefit from this election.
The election to permit the surviving spouse to apply the decedent’s unused exclusion (the deceased spousal unused exclusion amount, or DSUE amount) means that a couple can shelter up to $10 ($5 million for the first spouses applicable exclusion amount and $5 million for the second spouses amount) without any advance planning.
Although, at first glance, it seems this provision eliminates the need for a credit shelter trust, a longer look reveals this is frequently not the case. There are several reasons for the continuing importance of the credit shelter trust:
The following example illustrates the value of the credit shelter trust.
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