A specific type of trust recognized by the Internal Revenue Code, it is one in which the grantor (the individual creating the trust) retains certain powers or control over the trust’s assets. This control causes the grantor to be treated as the owner of the trust for income tax purposes, even though the assets are held in the trust’s name. As a result, the grantor is responsible for paying income taxes on the trust’s earnings, regardless of whether the income is distributed to beneficiaries. For example, if an individual establishes a trust but retains the power to revoke it, or can control who benefits from it, it would generally be classified as this specific trust type.
Its significance lies in estate planning, offering potential advantages in certain situations. It can be a useful tool for transferring assets while minimizing gift taxes or for simplifying income tax reporting. Furthermore, it can allow for assets to grow outside of the grantor’s estate, potentially reducing estate taxes upon the grantor’s death. The concept has evolved over time, shaped by tax law changes and court interpretations, to address concerns about individuals using trusts to avoid paying taxes on income they still effectively control.