Financing strategies for single-insured life insurance owned by an irrevocable life insurance trust (ILIT)

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Financing strategies for single-insured life insurance owned by an irrevocable life insurance trust (ILIT) Annual Basic description (all of the trust agreements used for these ILITs are assumed to be grantor trusts for income tax purposes, meaning that all trust income is taxed to the trust Grantor) Cash gifts from Grantor within the limits of available annual gift tax exclusions are used by Trustee to pay premiums; Crummey provisions are necessary in the trust document to qualify contributions as annual $15,000 per person, per year for 2018 Cash or incomeproducing property within the available limits of the lifetime gift is gifted by Grantor to the ILIT; cash, or income from the gifted property is used to make premium payments Approximately per donor, per year for 2018 1 Grantor/insured provides premiums under an economic benefit, collateral assignment split dollar arrangement using a limited-pay design; Grantor uses some or all of gift tax lifetime personal to terminate arrangement; Grantor makes annual exclusion gifts equal to economic benefit cost each year; ILIT uses these gifts to reimburse Grantor Grantor/insured provides premiums under an economic benefit, collateral assignment split dollar arrangement using a limited-pay design; Grantor makes annual equal to economic benefit cost each year; ILIT uses these gifts to reimburse Grantor; Grantor creates a Walton GRAT (grantor retained annuity trust) which makes annual annuity payments to the Grantor and pays its remainder interest to the ILIT Property, typically stock in a closely held family business, is transferred to an ILIT in return for an interest-only installment note, with principal payable in full at the end of the note s term or at the grantor s death; typically, a 10% down payment is part of the arrangement (funded by a gift); income generated by the asset is used to pay interest and insurance premiums Third-party lender loans premiums ; policy values and personal assets of Grantor may be needed for collateral; Grantor uses annual for interest costs, unless interest is accrued; interest rates depend on loan terms and may change as often as each year When to use The amount of available gift tax annual exclusions are greater than the annual premium Available annual exclusions are less than the annual premium; income producing property is available for gifting; desire or need for one-time funding is present; Grantor is interested in removing highly appreciated property from estate; larger estates; desire to minimize completion risk To finance large insurance where annual exclusions are less than the annual premium and where rollout values are less than approximately per donor for 2018 1 (if insured hasn t already used up lifetime gift tax personal ) To finance very large insurance where annual exclusions are less than the annual premium; when rollout values are greater than the amount of lifetime gift s still available; a family business interest is present; most appropriate for very wealthy clients with experienced advisors To finance very large insurance with no gift tax annual exclusion issues; where Grantor s lifetime gift is available to a significant degree; where income (cash flow) from S corp stock or LLC interests is available; works best with intrafamily transfers When a large death benefit is needed and the insured s assets are illiquid or are earning a strong return the client wants to continue; older clients where keeping the loan open until death is feasible; when interest rates are low; most suitable for estates valued at $10,000,000 or more

Primary leverage point Simplicity: very easy to understand and implement Fairly straightforward; discounting of incomeproducing assets maximizes values for gift tax purposes; removal of future appreciation reduces estate; works well with short-pay scenarios are measured by the economic benefit provided by the death benefit to the ILIT; simplified rollout through use of lifetime gift s are measured by the economic benefit provided by the death benefit to the ILIT; with remainder proceeds from the Walton GRAT being used to repay the Grantor, premiums on the ILIT-owned policy are essentially paid outside the gift tax system Insurance premiums on a very large policy are payable without concerns regarding the sufficiency of available annual gift tax exclusions; a financing mechanism is established to pay future premiums when the policy is purchased; gift tax annual exclusions are preserved for other purposes; many income tax advantages (see below) Grantor s out-of-pocket expense may be limited to interest cost; death proceeds are used to pay premiums (loan repayment to lender) and may also be used to pay accrued interest costs when loan is designed in that manner Duration May cover lifetime level-pay or limited pay durations Gift(s) may occur at one time or at multiple times; future growth in lifetime may also be utilized Typically best to limit duration (and premium payment period) to minimize increases in economic benefit; staying in arrangement for a long time can be too costly Typically best to limit duration (and premium payment period) to minimize increases in economic benefit; staying in arrangement for a long time can be too costly and increases risk of the GRAT under-performing One initial transaction is all that is needed to implement this financing approach; once established, the goal is for the arrangement to be self-sustaining Durations may vary according to client needs; typically, loan is repaid no later than at death, but may be repaid earlier with GRAT remainder interest proceeds Ability to escape Cash gifts can be discontinued at any time; if limited-pay, annual exclusions are available for redirection for other gifting needs when payment period ends Once gift is completed, it cannot be undone Arrangement can be terminated by the ILIT transferring the policy to the Grantor without an income or gift tax consequence Split dollar arrangement can be ended by the ILIT transferring the policy to the Grantor, typically without an income or gift tax consequence; GRAT will continue to operate and pay remainder interest when it terminates Generally, no opportunity to escape or undo arrangement; if an escape option were included, it would probably require a large gift by the Grantor to the ILIT so the note can be completed Lender will need to be repaid so a large gift by the Grantor may be necessary to the extent policy values in the ILIT are not sufficient to repay

Considerations First choice of many clients and advisors due to simplicity and ease of termination Clients need to be comfortable with the idea that gifted property cannot be recovered; income from asset may vary and may not be adequate at some point A rollout strategy must be planned from the outset; may not be appropriate for older ages due to increased risk of early death; short pay limits risk of increasing economic benefit cost due to insured s aging If GRAT investment performance is below projected, remainder interest may not be big enough to pay off split dollar arrangement; fair market value of GRAT assets will be included in estate if death occurs before GRAT is terminated 2 ; a complicated arrangement; short rollout limits risk of increasing economic benefit cost due to insured s aging Loss of direct control over asset by seller; no step-up in cost basis for trust beneficiaries at seller s death on business assets in the ILIT; income from asset may vary and may not be adequate at some point; the pretransfer value of the asset is essentially still in the estate in the form of proceeds from the installment note Degree of uncertainty due to changing interest rates and sufficiency of collateral issues; cost of insurance is higher due to more death benefit being purchased; significant personal assets may be tied up as collateral for the loan; once initial financing ends, new financing on uncertain terms may need to be obtained or a new financing strategy developed Gift tax impact Consumes some or all of available gift tax annual exclusions Annual exclusions remain uncommitted in future years and are available for other purposes; lifetime gift tax is depleted to the extent used are leveraged: lifetime gift is used at termination resulting in no out-of-pocket gift tax cost are leveraged; GRAT remainder interest moves from GRAT without gift tax impact are not used; a large one-time gift for the 10% down payment is required at the outset which may or may not fit within the Grantor s lifetime personal ; a large gift may be needed to undo plan May consume some or all of gift tax annual exclusions; a large, unexpected gift may be necessary (difficult if assets are illiquid) Estate tax impact (for all strategies, death proceeds are out of the insured s estate) reduce the Grantor s estate Future appreciation is removed from estate tax calculation If insured dies while arrangement is in effect, greater of cash value or premiums paid will be included in the estate If insured dies while arrangement is in effect, greater of cash value or premiums paid will be included in estate as will the value of future GRAT annuity payments 2 Monetary value of assets sold is still in estate but appreciation of assets after sale to the ILIT is removed from estate used for interest costs reduce estate

Income tax impact None (it s assumed that cash gifts are used to pay premiums so they would not generate any taxable earnings) Since ILIT is a grantor trust for income tax purposes, income from property in the ILIT is taxed to Grantor (same result as if Grantor did not transfer property) No income tax impact from ILIT payments to Grantor for economic benefit costs because ILIT is a grantor trust for cash value growth is taxdeferred No income tax impact from ILIT payments to Grantor for economic benefit costs because ILIT is a grantor trust for income generated by property inside GRAT is taxed to the Grantor (same result as if Grantor owned property outright) Income generated by property inside ILIT is taxed to the Grantor (same result as if Grantor owned property outright); no tax recognition of capital gain or interest by Grantor on installment payments since the ILIT is a grantor trust for income tax payments by Grantor on income earned by trust assets are, in effect, gift tax-free transfers to the trust Interest costs aren t deductible by either the Grantor/insured or the ILIT Rollout needed needed Terminate by the Grantor forgiving what is owed to the Grantor by the ILIT (value of the collateral assignment), which creates a taxable gift to the ILIT of the same amount (typically covered by the lifetime gift tax personal ); the is currently approximately per donor for 2018 1 GRAT has the same duration as the limited pay period on the policy; when the GRAT terminates, the remainder interest is paid to the ILIT; the ILIT uses this amount to repay the Grantor needed; the sale may be completed at the seller s death; alternatively, under the right economic circumstances, the note may be repaid using trust assets prior to death Lifetime rollout, which keeps the policy in force without current or future contributions from Grantor, is typically not possible; in most cases, rollout is planned to occur at death, or could be coordinated with a GRAT to pay off lender at a predetermined time Principal Trust Company SM is available to help provide personal trust services. Contact Principal Trust Company at 800-332-4015 for more information. Clients should consult with their counsel or other advisors on all matters pertaining to legal, tax, or accounting obligations and requirements.

Let s connect Contact your financial professional or go to principal.com. 1 is scheduled to sunset after 2025 and revert to its 2017 numbers, adjusted for inflation. IRS has not yet issued exact amount. 2 If a GRAT terminates prior to 2025, there may be less of a concern about estate inclusion because of the larger lifetime gift and estate tax prior to sunset. principal.com Principal National Life Insurance Company and Principal Life Insurance Company, Des Moines, Iowa 50392-0002 Principal Trust Company SM is a trade name of Delaware Charter Guarantee & Trust Company, a member company of the Principal Financial Group. Insurance products issued by Principal National Life Insurance Co. (except in New York) and Principal Life Insurance Co. Plan administrative services offered by Principal Life. Securities offered through Principal Securities, Inc., 800-247-1737, Member SIPC and/or independent broker/dealers. Principal National, Principal Life and Principal Securities are members of the Principal Financial Group, Des Moines, Iowa 50392. The subject matter in this communication is provided with the understanding that Principal is not rendering legal, accounting, or tax advice. You should consult with appropriate counsel or other advisors on all matters pertaining to legal, tax, or accounting obligations and requirements. Not FDIC or NCUA insured May lose value Not a deposit No bank or credit union guarantee Not insured by any Federal government agency Principal, Principal and symbol design and Principal Financial Group are trademarks and service marks of Principal Financial Services, Inc., a member of the Principal Financial Group. BB11629-02 03/2018 443082-032018 2018 Principal Financial Services, Inc.