A better choice is the use of an accumulation trust
which is designed to receive the MRD (Minimum Required Distributions)
from the tax deferred retirement account and then to retain them to be used or
expended, from time to time, for special needs for the disabled
beneficiary. The most tax-wise way of
using the IRA is to withdraw the balance over the life expectancy of the
disabled beneficiary. This slows the
consumption of the IRA and also slows the income tax consequences to the
accumulation trust. One would think you
could simply choose to use the beneficiary’s life expectancy under the “see
through” (the Trust) IRS rules. However,
the see through rules require that all persons who might receive benefits from
the trust must be natural persons and determinable as of the date of the death
of the IRA owner, or no later than the “Beneficiary Determination Date.” Thus, an accumulation trust must be drafted
carefully to avoid naming a charity (for example) or the estate
of the beneficiary as a final remainder beneficiary after the death of the disabled
beneficiary, since neither a charity nor an “estate” is a natural person. If natural persons only are properly named,
the trust must eventually distribute outright to “now living person(s).”
The IRS rules require that the person among all named beneficiaries
(i.e., the disabled beneficiary,
along with all remainderpersons) with the shortest life expectancy
(according to the IRS tables) is the “measuring life” to determine the
“Applicable Distribution Period” (ADP), which basically means the number of
years over which that the minimum required distributions are spread.
The IRS rules are complex when distributions are made to an
accumulation trust, but it rarely is advisable to name the disabled child
directly or a conduit trust when the source of funds is a tax deferred
retirement account. Funding of a Special
Needs Trust accumulation trust via a tax deferred retirement accounts is a
hazardous venture and requires very careful document provisions and
coordination with IRA beneficiary designation forms.
Curtis J. Shacklett, Esq.
Barber & Bartz, P.C.
525 S. Main St., Ste. 800
Tulsa, OK 74103-4511
Telephone: (918) 599-7755
Facsimile: (918) 599-7756
Email: cshacklett@barberbartz.com
Website: www.barberbartz.com
Barber & Bartz, P.C.
525 S. Main St., Ste. 800
Tulsa, OK 74103-4511
Telephone: (918) 599-7755
Facsimile: (918) 599-7756
Email: cshacklett@barberbartz.com
Website: www.barberbartz.com