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  2. Generation-skipping transfer tax - Wikipedia

    en.wikipedia.org/wiki/Generation-skipping...

    The U.S. generation-skipping transfer tax (a.k.a. "GST tax") imposes a tax on both outright gifts and transfers in trust to or for the benefit of unrelated persons who are more than 37.5 years younger than the donor or to related persons more than one generation younger than the donor, such as grandchildren. [1]

  3. File:The tariff and the trusts (IA cu31924032519864).pdf

    en.wikipedia.org/wiki/File:The_tariff_and_the...

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  4. File:The tariff and the trusts (IA tarifftrusts01pier).pdf

    en.wikipedia.org/wiki/File:The_tariff_and_the...

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  5. Goods and Services Tax (India) - Wikipedia

    en.wikipedia.org/wiki/Goods_and_Services_Tax_(India)

    Pre-GST, the statutory tax rate for most goods was about 26.5%; post-GST, most goods are expected to be in the 18% tax range. The tax came into effect from 1 July 2017 through the implementation of the One Hundred and First Amendment to the Constitution of India by the Government of India. 1 July is celebrated as GST Day. [4]

  6. File:A treatise on the law of trusts and trustees (IA ...

    en.wikipedia.org/wiki/File:A_treatise_on_the_law...

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  7. Dynasty trust - Wikipedia

    en.wikipedia.org/wiki/Dynasty_trust

    A dynasty trust is a trust designed to avoid or minimize estate taxes being applied to family wealth with each subsequent generation. [1] By holding assets in trust and making well-defined (or even no) distributions to beneficiaries at each generation, the assets of the trust are not subject to estate, gift or generation-skipping transfer tax (GST) taxes.

  8. File:Industrial combinations and trusts; (IA ...

    en.wikipedia.org/wiki/File:Industrial...

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  9. Qualified personal residence trust - Wikipedia

    en.wikipedia.org/wiki/Qualified_personal...

    Residence trusts in the United States are used to transfer a grantor's residence out of the grantor's estate at a low gift tax value. Once the trust is funded with the grantor's residence, the residence and any future appreciation of the residence are excluded from the grantor's estate, if the grantor survives the term of the trust, as explained below.