From Edward Marin Estates, Estate and Gift Tax Planning,

Similar documents
Required Minimum Distributions

The Cornerstone of Your Financial Plan

1035 Tax-Free Exchanges of Life Insurance

Understanding FIXED ANNUITIES

Policy Loans BECAUSE YOU ASKED. Table of contents. 1. What is the tax effect of a 1035 exchange of a policy subject to an ADVANCED MARKETS

From: James G. Muir. Sierra Group, Ltd Canyon Oaks Trail Suite 3 Milford MI

Advanced Markets The Cross Endorsement Buy-Sell Arrangement

Understanding ANNUITIES

ACCUMULATION SVUL Reaching new heights in meeting retirement needs. For two. CONSUMER GUIDE

Tax Planning with Life Insurance

The Basics of Annuities: Planning for Income Needs

MAXIMIZE YOUR LEGACY

ACCUMULATION PREMIER LIFE. A Triple Combination Security. Performance. Simplicity. PRODUCER GUIDE A FLEXIBLE PREMIUM ADJUSTABLE LIFE INSURANCE POLICY

Income for Life + Living + You

ENHANCED LIFETIME INCOME BENEFIT 2

2018 Year-End Tax Planning

What You Need To Know When It Is Time To Start Distributions From Your Retirement Accounts

Legacy Master. Help Provide for Your Loved Ones. Issuer: Western-Southern Life Assurance Company

Understanding Life Insurance: A Lesson in Life Insurance

Supplementing Retirement Income with Life Insurance

REQUIRED MINIMUM DISTRIBUTIONS (RMDs)

Income Advantage SM. Pacific. Client Guide. with a Guaranteed Withdrawal Benefit. for Edward Jones

Understanding Life Insurance: A Lesson in Life Insurance

Understanding Life Insurance: A Lesson in Life Insurance

Consumer Guide. Variable Universal Life Insurance. Issued by Security Life of Denver Insurance Company.

What You Should Know: Required Minimum Distributions (RMDs)

Understanding fixed index universal life insurance

Uses of Life Insurance for the Closely-Held Business

No bank guarantee Not a deposit May lose value Not FDIC/NCUA insured Not insured by any federal government agency

It s All About the Business

Advanced Markets Success Strategy The Cross Endorsement Buy-Sell Arrangement

Wealth Transfer Planning Through the Use of Section 6166 Election and Life Insurance

A STORY OF GUARANTEES AND FINANCIAL VERSATILITY

SecureOption Select A fixed deferred annuity. safety and certainty on your terms. hij abc

Using the 1040 to Find Planning Opportunities

TRANSAMERICA LANDMARK SM VARIABLE ANNUITY

Extending Retirement Assets: A Stretch IRA Review

Preserve what you spent a lifetime creating

AMERUS LIFE INSURANCE COMPANY

INDIVIDUAL RETIREMENT ARRANGEMENTS

An Endorsement Split Dollar Arrangement

THE LENZI LAW FIRM, PLLC

Pacific. ExpeditionSM. A Deferred Fixed Annuity for a Confident Retirement. Client Guide A 5/12

2010 YEAR-END INCOME TAX PLANNING FOR INDIVIDUALS

Life Insurance and Estate Planning

PROTECTION PROTECTION SIUL. The pacesetter in affordable, secure protection. For two. LIFE /16 JOHN HANCOCK LIFE INSURANCE COMPANY (U.S.A.

Charitable Lead Trusts. From: Louis Lepore TABLE OF CONTENTS

Variable Annuity. Variable Product Series. Building your future with a secure partner. Kansas City Life Insurance Company

Counselor s Corner. SLAT: Is It Possible to Have Access to Trust Assets Without Estate Inclusion?

Lifetime Withdrawal GuaranteeSM

Reward and Retain Valued Executives using Life Insurance

Issues AND. Tax-Powered Philanthropy: Doing well by doing good

You ve built so much together. Protect it together.

ESTATE EVALUATION. John and Jane Doe

LIFE Universal. Legacy Advantage Survivorship Universal Life SM. protect. preserve and transfer wealth

Strength and stability.

Understanding Private Placement Life Insurance

TRANSAMERICA LIBERTY SM VARIABLE ANNUITY

SecureOption Focus. A fixed deferred annuity. Your future Your focus. hij abc

John Hancock Life Insurance Company (U.S.A.)

Flexible protection to help meet a lifetime of needs

a foundation forlife

Janet Client. A presentation designed for: Prepared by: Sun Life Sample. Sun Life Assurance Company of Canada

Investment Tax Planning

Charitable Gifting: Overview and Tax Implications

ASPPA ANNUAL CONFERENCE TRUSTS AS BENEFICIARY ISSUES

Nautilus Advantage. Universal Life and Survivorship Universal Life

Using a Limited Liability Company (LLC) to Transfer a Family Business

Understanding Required Minimum Distributions for Individual Retirement Accounts

Retirement Planning Guide

Life Insurance Considerations for Legal and Tax Professionals

GRANTOR RETAINED ANNUITY TRUSTS

Wealth Transfer Planning Opportunities

Paul and Sally Williams 34 Bonnie Drive Agoura Hills CA 91301

Pacific PRIME UL-NLG Flexible Premium, Universal Life Insurance. Flexible and Efficient Asset Protection. Pacific Life Insurance Company PP-2D

life a foundation for MetLife Promise Whole Life LIFE WHOLE

Asset-Care. Asset-Care. producer guide. OneAmerica is the marketing name for the companies of OneAmerica

Thursday, March WRM# TOPIC: The New Playing Field A Review of the Net Investment Income Tax and Final Regulations.

Affinity Variable Annuity

YEAR-END INCOME TAX PLANNING FOR INDIVIDUALS Short Format

Plan today for tomorrow s destination.

Planned Giving. A Philanthropist s Guide to Federal Taxes The Most Flexible Tax-Saving Tool: The Charitable Deduction

Flexible protection with the added value of wealth accumulation potential

Spousal Lifetime Access Trust Producer Guide. Transferring wealth. and retaining. spousal access

Tax strategies for higher-income taxpayers

CHARTING A COURSE. to Help Secure your Future with Life Insurance

Non-Citizen Spouse. Estate Planning Using Qualified Domestic Trusts (QDOTs) and Irrevocable Life Insurance Trusts (ILITs)

John Hancock Life Insurance Company (U.S.A.)

Guarantee Ultimate II

Giving Today to Guarantee Tomorrow: Charitable Gifts of Life Insurance

Retirement Tax Strategies for the Affluent. Using Cash Value Life Insurance to Help Design a Secure Future

Section 1035 Exchanges

MEMBERS Focus Fixed Annuity

Please understand that this podcast is not intended to be legal advice. As always, you should contact your WEALTH TRANSFER STRATEGIES

Beneficiary Designations for Roth IRAs

Year-End Planning 2017

SecureFore SM 5 Fixed Annuity

REFERENCE GUIDE Charitable Giving

PROPOSED INSURED PRESENTED BY

White Paper Understanding State Death Taxes

Transcription:

Section 1035 - Tax-Free Exchange of Life Insurance Policies Volume 3, Issue 7 This issue of The Wealth Counselor From Edward Marin examines a topic that should interest all owners of non-term life insurance Meyers, Rodbell & Rosenbaum, PA policies and their advisors - Internal Revenue Code Section 1035 and its 1445 Research application. A 1035 exchange of life Boulevard, Suite insurance policies, unlike a surrender or 301 Rockville, MD sale of a policy, is not an income 20850 recognition event. This can allow the 301-738-7061 policy owner, for example, to take advantage of lower insurance costs due EDWARD S. MARIN, to increased life expectancy, obtain new ESQ., C.P.A., LLMlife insurance features and benefits, or Tax practices in the replace a policy that is not performing at areas of Trusts and an acceptable level and do so without Estates, Estate and Gift Tax Planning, having to pay income taxes on the Probate, Trust Administration, Business transaction. Succession Planning, Income Tax Planning and Charitable Planning. With today's new mortality tables, clients in good health can often exchange an existing policy for a new policy that offers both lower premiums and more death benefit, even though the insured is significantly older than when the original policy was issued. An understanding of how 1035 exchanges work allows wealth planning professionals to increase sales, reduce fiduciary exposure, provide better service to clients, and strengthen their position as the clients' trusted advisor. What is a 1035 Exchange? Internal Revenue Code Section 1035 permits the owner to exchange one life insurance contract for another on a tax-free basis. It requires that neither the policy owner nor the insured life or lives be different after the exchange. In a 1035 exchange, the owner's cost basis in the old policy carries over to the new policy. What does not have to be the same before and after includes the death benefit, premiums, or policy structure. Thus, for example, Section 1035 permits the exchange of a variable

policy for a whole life policy or a $500,000 policy for an $800,000 policy. In addition, Section 1035 permits the exchange of multiple policies on one life for one policy on the same life. Planning Tip: Section 1035 DOES NOT permit the exchange of two single life policies on different insureds for a survivorship life policy on the two insureds or vice versa. However, the exchange of a survivorship life policy for another survivorship life policy on the same insureds should qualify as a tax-free exchange. Planning Tip: After one of the insureds dies, a joint-life policy becomes a single-life policy and can be exchanged for another single-life policy on the survivor. Planning Tip: Under Code Section 1031(b), gain from a life insurance policy exchange that is not solely "like-kind" may create income tax liability. Planning Tip: If the existing policy is a Modified Endowment Contract (MEC) (which means that the owner cannot access cash value without incurring income tax liability), an exchanged policy is automatically a MEC. Why Should Clients Consider 1035 Exchanges? There are many reasons why clients and their advisors should consider 1035 exchanges. Probably the most common is because in today's market it is often possible to reduce premiums and/or increase coverage through a 1035 exchange. There are two principal reasons why this is so. First, policies written even just a few years ago may use an outdated mortality table. Using the current (2000) tables instead of their predecessor (the 1980 tables) results in dramatic mortality cost reductions because Americans are living longer. Reductions compared to earlier mortality tables are even larger. Secondly, the built-in administrative cost burden of newer life insurance policies is lower. The cash value of permanent life insurance is affected by the internal costs and administrative fees that are built into the policy. Therefore, a newer policy with lower costs and fees will accumulate cash value faster than an older policy with higher built-in costs and fees. Often, even though the insured is now older, the reduced mortality costs and built-in fee burdens on a policy mean that premiums can be dramatically lower for the same coverage. This offers myriad possibilities through combinations of reducing premium costs and increasing the death benefit. Another reason to consider a 1035 exchange is if the policy is not performing as originally projected. Many policies issued five or more years ago are in that category in part because the internal interest rate assumptions are higher than current historically low interest rates. In other words, if a policy issued in the early 1990s assumed a 9% return

but is only earning 4%, the policy will require more premium payments than originally projected to make up for that shortfall - and those additional premiums may be required over many additional years. A 1035 exchange allows the insured to exchange into a policy that has assumptions based upon current, low rates of return - providing a greater degree of certainty as to future premium payments needed to keep the policy in force. A final reason is older clients may live longer than their existing policy was written to cover. Older policies typically endow at age 100, whereas newer policies extend the endowment age to 120 or beyond. Exchanges of Policies with Loans If the policy has an outstanding loan the owner must either: (1) carry the loan over to the new policy; or (2) pay off the loan prior to the 1035 exchange. Most insurance companies will not carry an existing loan over to a new policy. If a policy has an outstanding loan at the time of a 1035 exchange that is not paid off or carried over to the new policy, the IRS will treat the loan as "boot," taxable as ordinary income to the extent of the gain. Boot is a "deemed distribution" to the policy owner and is generally any value from the old policy that is not transferred to the new policy. The deemed distribution (boot) is the lesser of the partial surrender made to extinguish the loan or the built-in gain in the policy. Planning Tip: If the owner does not want to pay off a policy loan, consider a partial surrender (policy death benefit reduction) to extinguish the loan. This reduces the policy's death benefit and gross cash value, but not its net cash value. For example, assume a policy with a gross cash value of $130,000, a $100,000 loan, and a cost basis of $75,000. A partial surrender to eliminate the loan amount will cause a deemed distribution of $100,000, reducing the gross cash value to $30,000. Since $25,000 of the deemed distribution is in excess of the cost basis, the owner will recognize $25,000 of ordinary income and will have a zero cost basis for the policy after the partial surrender. Net cash value will remain at $30,000. Planning Tip: The key to receiving favorable income tax treatment when doing both a partial surrender to extinguish a policy loan and a 1035 exchange of the same policy is to have the IRS treat the partial surrender and the 1035 exchange as separate transactions. Then, Code Section 72(e) will govern and the policy owner can recover his entire cost basis before being subject to tax on any gain. If the partial surrender occurs "shortly before or shortly after" (not defined by the IRS) the 1035 exchange, IRS will treat them both as one transaction. A single transaction will be subject to tax under Code Section 1031 and the policy owner cannot recover his cost basis first. Planning Tip: Wait for several months (up to 12 or until another policy year, if possible)

after the partial surrender to implement the 1035 exchange. That will maximize the probability of having the partial surrender and the 1035 exchange treated as separate transactions. Ask the insurance company whether it will issue a 1099 and for how much if the 1035 exchange takes place at the target time. If the answer indicates the insurance company intends to report the two transactions as one, find out when it would not do so. There are alternatives a policy owner may be able to use to pay off a policy loan. One is to use personal funds (including dividends from the existing policy). In this case there would be no deemed distribution because the owner would simply be returning the cash previously borrowed from the policy. The owner can also use funds obtained via a loan on a different policy or asset to pay the loan down to or below the policy's cost basis. Planning Tip: A policy owner has two options to avoid recognition of income when doing a 1035 exchange with a policy that has a loan against its cash value that cannot be carried over to the new policy: 1. Use funds from another source, including borrowing against another policy, to pay off the loan; or 2. Make a partial surrender of the policy to eliminate the loan and postpone the 1035 exchange for several months. Planning Tip: Examine all of the client's life insurance policies to determine the best 1035 exchange strategy. For example, it may be possible to borrow against policies with loans that are less than their policy cost bases to bring another policy loan down to that policy's cost basis. Planning Tip: It is usually not advantageous to do a 1035 exchange in the month before a policy's anniversary because of how the policy dividend date is defined and because of the reduction in surrender charges that typically attend a policy passing its anniversary. Conclusion Tax-free exchanges of life insurance policies under Code Section 1035 provide an opportunity to "trade in" a life insurance policy on a "new model" without having to recognize taxable income. By working together, the planning team can identify those clients who might benefit from a 1035 exchange and explore all options to meet each client's unique planning goals and objectives. Failure to take advantage of the 1035 exchange opportunities that exist in today's market could expose fiduciaries to beneficiary claims. To comply with the U.S. Treasury regulations, we must inform you that (i) any U.S. federal tax advice contained in this newsletter was not intended or written to be used, and cannot be used, by any person for the purpose of avoiding U.S. federal tax penalties that may be imposed on such person and (ii) each taxpayer should seek advice from their tax advisor based on the taxpayer's particular circumstances. For professionals' use only. Not for use with the general public. You have received this newsletter because I believe you will find its content valuable, and I hope that it will help you to provide better service

to your clients. Please feel free to contact me if you have any questions about this or any matters relating to estate or wealth planning. To be removed from this mailing list unsubscribe here. Meyers, Rodbell & Rosenbaum, PA 1445 Research Boulevard, Suite 301 Rockville, MD 20850 Website