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Estate and Gift Tax Aspects
of the 1997 Budget Act

by Mark J. Welch . . . last updated August 2, 1997

http://www.ca-probate.com/a_budg97.htm

Years of promises of estate tax relief were finally fulfilled, in part, by the "Taxpayer Relief Act of 1997" and the 1997 Budget Act.

Background:

Since 1987, federal estate taxes have been imposed on the estate of any person who dies leaving assets worth more than $600,000 (excluding bequests to a suriviving spouse or charity). In some cases, a married couple can leave $1.2 million to their heirs tax-free, but only if a special "exemption" or "bypass" trust is created pursuant to a will or living trust at the time of the first spouse's death. Only about 8% of estates owe any estate taxes; estate taxes generate about 1% of federal tax revenue.

In 1994, the Republican "Contract With America" pledged to increase the amount of the "unified credit" to $750,000 over a three-year period, and to increase it annually thereafter based on the inflation rate. That promise was one of the first to be abandoned -- probably because "dead people don't vote."

Bills have been introduced in Congress every year, seeking to increase the "unified credit" for estate and gift taxes (or in some cases to repeal the tax entirely), but the bills have historically died in committees because no one could suggest ways to offset the lost tax revenue. More than 50 bills to alter estate and gift taxes have been introduced in the current 105th Congress.

In early May, the Clinton administration and Congressional leaders reached a budget agreement "in principal" which promised an immediate increase in the "unified credit" that would exempt estates of up to $1.2 million from federal estate taxes. By mid-June, this eroded to a strangely-staggered increase to $1 million over a ten-year period (see the June 16 "Action Release" from House Ways and Means Committee for details).

The New Law

As of August 1, it appears that President Clinton was preparing to sign two bills passed by Congress, comprising the 1997 budget law, which would make a number of changes to the estate and gift tax laws. Although some of these changes will result in substantial tax savings for many Americans, almost all of these changes will increase the complexity of the law. Nearly every provision seems to have a different effective date; some are retroactive to various dates in 1997, while some are effective on the date of enactment, and others won't be effective until future years (assuming they are not modified or repealed in the interim as new budget deals are struck). This article discusses ONLY changes in the law affecting estate and gift taxes.


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