| Have you wondered what 'cost' (or 'basis') an
individual gets in property he inherits from another? This is an important area and is too
often overlooked when families start to put their affairs in order. The general rule is referred to as the 'step-up' basis rule. That is, the
heir receives a basis in inherited property equal to its date of death value. So, for
example, if Uncle Harry bought Kodak stock in 1935 for $500 and it's worth $5 million at
his death, the basis is stepped up to $5 million in the hands of his heirs and all of that
gain escapes income taxation forever.
It's crucial for these rules to be understood so that
disastrous tax errors are not made. For example, if, in the above example, Uncle Harry,
instead of dying owning the stock, decided to make a gift of it in honor of his 100th
birthday, the step-up in basis would be lost. Property that has gone up in value acquired
by gift is subject to the 'carryover' basis rules: the donee takes the same basis the
donor had in it (just $500), plus a portion of any gift tax the donor pays on the gift.
The basis 'step-up' rules can become 'step-down' rules as
well. That is, if a decedent dies owning property that has declined in value, its basis is
lowered to the date of death value. Proper planning calls for seeking to avoid this loss
of basis. In this case, however, giving the property away before death will not preserve
the basis: when property which has gone down in value is the subject of a gift, the donee
must take the date of gift value as his basis (for purposes of determining his loss on a
later sale). The best move for property that has declined in value, therefore, is for the
owner to sell it before death so he can enjoy the tax benefits of the loss.
Alternate valuation. Although the above discussion refers to
the date of death value, the rule is different in some cases. Where the decedent's
executor makes the alternate valuation election, then basis will be determined as of the
date six months after the date of death (or, if the property is distributed or otherwise
disposed of by the estate within the six month period, the date of distribution or other
disposition).
Deathbed maneuvers. One ploy the tax rules sought to prevent
was the passing of property through a decedent to attempt to inflate basis under the above
rules. For example, say Tim owns stock with a $1,000 basis and $20,000 value. He goes to
97-year old Uncle Vern and arranges the following: Tim makes a gift of the stock to Uncle
Vern, who takes it with Tim's $1,000 basis. Vern then dies leaving the stock back to Tim
in his will. Tim regains ownership, but now with the basis stepped up to its $20,000 date
of death value. Under the tax rules, if Tim recovers his stock within a year of making the
gift, he is stuck with his original ($1,000) basis. The result is the same if, instead of
leaving the stock to Tim, Uncle Vern leaves the stock to Tim's wife.
If you have any other questions on this topic, please contact
us. |
|