Connecticut Bar Journal, Volume 20State Bar Association of Connecticut, 1946 - Bar associations Includes Annual reports, and lists of members. |
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Page 218
Where the remainderman is a charity the value of its interest , as of the date of death , is deductible from the gross estate so that only the life estate or temporary interest in the fund will be subject to tax , although such tax will ...
Where the remainderman is a charity the value of its interest , as of the date of death , is deductible from the gross estate so that only the life estate or temporary interest in the fund will be subject to tax , although such tax will ...
Page 219
Under the latter change the succession tax on a particular legacy will now be based on the value of such legacy minus the estate taxes apportioned thereto . Accordingly while a legacy to a beneficiary other than residuary beneficiary ...
Under the latter change the succession tax on a particular legacy will now be based on the value of such legacy minus the estate taxes apportioned thereto . Accordingly while a legacy to a beneficiary other than residuary beneficiary ...
Page 289
Note that this language is limited to death taxes on the decedent's estate and on the legacies given by his will ; and it is not sufficient to require ( a ) that the Connecticut succession tax on inter vivos trusts subject thereto be ...
Note that this language is limited to death taxes on the decedent's estate and on the legacies given by his will ; and it is not sufficient to require ( a ) that the Connecticut succession tax on inter vivos trusts subject thereto be ...
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Contents
TABLE OF CONTENTS | 2 |
LYMAN Editor | 8 |
PROCEEDINGS OF THE BOARD OF DELEGATES OCTOBER 15 1945 | 32 |
13 other sections not shown
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