The New York State Legislature is considering some significant proposed changes to the New York estate tax law, the tax treatment of gifts by New York residents, and New York income taxation of certain trusts. Some important provisions are highlighted below. All of these proposals are subject to further review and may change before the enactment of final legislation, but some provisions, if enacted, will apply as of April 1 of this year.
Provisions of interest to all New Yorkers
1) Changes to NY Estate Tax Exemption Amount & NY Estate Tax Rate
If enacted, the proposed law would make significant changes to
the New York estate tax law.
The New York estate tax exemption amount (i.e., the amount an
individual can pass free of New York estate tax) would gradually
increase from the current exemption amount of $1 million to $5.25
million over the next few years, with indexing for inflation after
January 1, 2019.
For estates up to the exemption amount in any given year, there
would be no New York estate tax.
The exemption is gradually phased out for estates above the
exemption amount, with the result that for estates valued at 105%
of the exemption amount or more, there would be no
New York exemption, and the entire estate would be taxed for New
York purposes.
The top New York estate tax rate would be gradually reduced from
16% to 10% over the next few years.
The net effect of these changes would be a reduction in New York
estate tax payable for most estates, but the phase out of the
exemption amount, if enacted, will create planning challenges in
some situations.
2) Opportunity to Make Gifts Prior to April 1, 2014 that
Escape NY Tax
Presently, New York does not impose a gift tax. If
enacted, the proposed law would cause gifts made by a New York
resident after March 31, 2014 in excess of the New York exemption
amount to be taxed in the donor's estate for purposes of New
York estate tax. The effect of this proposal would be a New York
estate tax payable at death on the donor's cumulative lifetime
gifts.
If you are a New York resident, you may wish to consider making
gifts prior to April 1, 2014 to avoid exposing those gifts to New
York estate tax at your death. Making gifts now may be particularly
appealing to New York residents who have not yet used their entire
federal exemption amount (which is currently $5,340,000 per person
in 2014).
3) NY Generation-Skipping Transfer ("GST") Tax
Repeal
The proposed law would also repeal the New York GST Tax,
which had limited application.
Provisions related to trusts with NY grantors or NY
beneficiaries
4) Impose NY Income Tax on NY Beneficiaries for Certain
Trust Distributions
The proposed legislation would impose an additional New
York income tax liability on New York resident beneficiaries of
certain trusts. The liability may arise if (i) the trust itself is
not subject to New York income tax, (ii) the trust makes a
distribution to a New York beneficiary in any given year, and (iii)
in prior years, the trust had accumulated rather than distributed
out all of its income. In those circumstances, the New York
resident may become liable for New York income tax on some or all
of the trust's accumulated income from prior years, but only up
to the amount of the distribution that the beneficiary receives
from the trust.
5) Impose NY Income Tax on NY Grantors of "ING
Trusts"
The proposed law would also impose New York income tax on
New York grantors of certain out-of-state trusts—commonly
known as Irrevocable Non-Grantor Trusts or "ING
Trusts"—which had previously not been subject to New
York income tax. If enacted, the proposed law would subject
grantors of ING Trusts that are not liquidated before June 1, 2014
to New York income tax.
* * * * *
Careful estate planning is important for clients and their families to ensure that their goals are realized in a tax-efficient manner. If you have any questions about how the proposed New York state legislation may impact you as a New York resident or as a trust grantor, trustee, or beneficiary, please contact us.
The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.