Title: Taxation of Life Insurance and Annuities
1Taxation of Life Insurance and Annuities
- Al Kingan, JD, LLM, CLU, ChFC
- Director, Estate Business Planning
University of Nebraska School of Law 2006 Estate
Business Planning Program May 12, 2006
078730-000
2Disclosure
This presentation is not written or intended as
specific tax or legal advice and cannot be relied
upon for purposes of avoiding any federal tax
penalties. MassMutual, its employees and
representatives are not authorized to give tax or
legal advice. You are encouraged to seek advice
from a qualified tax or legal advisor.
3Life Insurance Tax Basics
- Premiums are not tax deductible
- Death benefits are income tax exempt
- Cash values are tax-deferred
-
Life Insurance
4No Deduction for Premiums
- IRC 264 life insurance premiums are not tax
deductible expenses. - John cannot deduct the premiums he pays on his
personal life insurance policy. - Johns business or employer cannot deduct the
premiums it pays on an insurance policy it owns
on his life (e.g., key person insurance).
Life Insurance
5Tax-Free Death Benefits
- IRC 101(a) gross income does not include
amounts received under a life insurance contract,
if such amounts are paid by reason of the death
of the insured. - Must be a life insurance policy
- Must be paid because the insured died
- Any type of policy (Term, WL, UL, etc.)
- To any beneficiary (individual, trust, business)
Life Insurance
6IRC 7702 Definition of Life Insurance
- Product must meet Sec. 7702
- Must be a life insurance contract under
applicable law (state or foreign), and - Must meet either of two tests
- Cash Value Accumulation Test
- Guideline Premium Test
- Also, Mortality Expense charges must be
reasonable
Life Insurance
7IRC 7702 Failure
- If a policy is a life insurance contract under
state or foreign law, but does not qualify under
IRC 7702 - Investment gain on failed contracts are taxable
each year as ordinary income - Otherwise, Investment gain is tax deferred
- Income tax-free if received as death proceeds
Life Insurance
8Taxation of Life Insurance (non-MECs) Policy
Distributions
- Favorable taxation - generally, return of basis
first - Dividend distributions - reduce investment in
the contract - Special Rule for Withdrawals/Partial Surrenders
During 1st 15 Years - Pre-7702 (pre-January 1, 1985)
- reduce investment in the contract
- 7702 Contracts
- Distribution may be treated as income on contract
- Separate formulas for years 1-5, 6-10 and 11-15
Life Insurance
9Taxation of Life Insurance (non-MECs) Policy
Distributions (cont.)
- Policy loans
- Not a distribution
- Loan can be repaid out of death proceeds with No
tax - Policy lapse with loan in excess of basis is
taxable - Full Surrenders
- Amount received (including loan forgiveness) in
excess of basis is taxable ordinary income - Distributions in excess of basis
- Taxable as ordinary income
Life Insurance
10Taxation of Life Insurance Modified Endowment
Contracts (MECs)
- Section 7702A -(applies on or after June 21,
1988) - Policy that fails the 7-pay test (but passes
definition of life insurance test of Section
7702) - Policys total premiums exceed the premium limits
defined in the legislation - During first 7 years
- At the date of a material change, or
- At the date of loss of grandfather status
Life Insurance
11Taxation of Life Insurance Modified Endowment
Contracts (MECs)
- Material Changes
- Term rider attachments
- Conversion of Dividend Accumulations to Paid-up
Additions - Death Benefit Increases
- Certain Universal Life corridor increases
Life Insurance
12Taxation of Life Insurance Modified Endowment
Contracts (MECs)
- Policy Distributions - Section 72(e)
- Dividends/Withdrawals/Partial Surrenders
- Taxed Income out first
- Full Surrenders
- Amount received (not including loan forgiveness)
in excess of basis is taxable ordinary income - Loans and Collateral Assignments
- Taxed same as a surrender or withdrawal
- Repayment of loan increases investment in the
contract
Life Insurance
13Taxation of Life Insurance Modified Endowment
Contracts (MECs)
- Policy Distributions (cont.)
- Premature Distributions
- Additional 10 penalty tax applies to taxable
income on distributions from a MEC - Exceptions
- Policyowner has attained age 59 1/2
- Policyowner has become disabled
- Distributions taken as a series of substantially
equal periodic payments (at least annually) over
life expectancy of owner and owners beneficiary
Life Insurance
14Taxation of Annuities
- Inside Build-up
- Generally, Tax Deferred
- Exception, Deferred Annuities held by
Non-natural persons - Beginning with investment contributions after
2/28/86 - Sec. 72(u)
Annuities
15Taxation of Annuities
- Deferred Annuities
- Withdrawals/Partial Surrenders (Amounts not
received as an annuity) - Taxed as distribution of income on the contract
first - Full Surrender/Loans/Collateral Assignments
- Amount received in excess of basis is taxable
ordinary income - Gifts of Annuity Contract
- Treated as a disposition triggering tax on gain
- Except between spouses or incident to a divorce
Annuities
16Taxation of Annuities
- Deferred Annuity Distributions (cont.)
- Premature Distributions
- Additional 10 penalty tax applies to taxable
income on distributions from a Deferred Annuity - Exceptions
- Contract holder has attained age 59 1/2
- Contract holder has become disabled
- Distributions taken as a series of substantially
equal periodic payments (at least annually) over
life expectancy of owner and owners beneficiary
Annuities
17Taxation of AnnuitiesDeath of Contract Holder -
Sec. 72(s)
- If Surviving Spouse named as Beneficiary
- Spouse replaces Contract holder
- Mandatory distributions
- Before Annuity Starting Date
- Distribute entire amount within 5 years
- Over life of beneficiary (beginning w/in 1 year)
- On or After Annuity Starting Date
- At least as rapidly as method of distributions
prior to holders death
Annuities
18Exchanges of Insurance and Annuity Contracts -
Section 1035
- No Gain or Loss Recognized
- Old Basis Carries over to new contract (unless
exchange involves taxable boot - Permissible Exchanges
- Life Insurance for Life Insurance, Endowment or
Annuity - Endowment for Endowment or Annuity
- Annuity for Annuity
- Note, Endowment Contracts are no longer available
Exchanges
19Exchanges of Insurance and Annuity Contracts -
Section 1035
- Special Rules
- Contracts must have the same Insured or Insureds
- Generally believed that owner must be same
- Exchange may involve multiple contracts
- New Life Policy will not become a MEC as a result
of exchange unless old policy was a MEC - Amount transferred from old contract not treated
as a premium payment under MEC test - It does, however, lower premium limit that would
otherwise apply to new policy
Exchanges
20Exchanges of Insurance and Annuity Contracts -
Section 1035
- Life Insurance Exchanges - Boot Anomaly
- Sec. 1035 refers to 1031 for operational
instructions - Under Sec. 1031, any debt forgiveness is boot
- Under Sec. 72, no gain on life policy until
distributions exceed basis - Apparent conflict in IRC? (nah?, cant be?)
- Insurance Carriers generally take position that
forgiven loan is taxable (preserves
business/prevents penalties) - Problem can be avoided by first doing a partial
surrender that eliminates loan (step transaction?)
Exchanges
21Life Insurance Death ProceedsTransfer for Value
- Death Proceeds Income Tax Free Unless Transfer
for Value Rule Applies - Transfer for Value - In the case of a transfer
for valuable consideration by assignment or
otherwise, of a life insurance contract or any
interest therein, proceeds in excess of basis are
taxable.
Life Insurance
22Transfer for Value
- Section 101(a)(2) Transfer for Value Exceptions
- Transfer to Insured
- to Partner of Insured
- to Partnership in which Insured is a Partner
- to Corporation in which Insured is a shareholder
or officer - Transfer where basis in hands of transferee is
same as in hands of transferor
Life Insurance
23Transfer for Value
- Caution Broad application of Transfer for Value
Rules - Examples - A, B and C own Corp they buy policies on each
other for Buy/Sell funding - A dies
- B C collect death proceeds, and buy stock from
As estate - B buys As interest in policy on Cs life
- C buys As interest in policy on Bs life
- Transfer for Value?
Life Insurance
24Transfer for Value
- Examples
- A and B are brothers they own XYZ Corp.
- Each owns a life insurance policy on his own life
- Each names his brother as beneficiary of his life
insurance policy - Transfer for Value?
Life Insurance
25Transfer for Value
- Examples
- Mom gifts life insurance policy to daughter.
Policy has outstanding loan. - Premiums paid 8,000
- Outstanding loan 5,000
- Net Cash Surrender Value 10,000
- Transfer for Value?
Life Insurance
26Transfer for Value
- Examples
- Mom gifts life insurance policy to daughter.
Policy has outstanding loan. - Premiums paid 20,000
- Outstanding loan 25,000
- Net Cash Surrender Value 12,000
- Transfer for Value?
Life Insurance
27Transfer for Value
- Examples
- Policy on A owned by As Irrevocable Trust
- A, concerned about one of trust beneficiarys
ability to handle money, wants to change trust - Can A create new trust to buy the life insurance
policy from old trust? -
Life Insurance
28Transfer for Value
- Examples
- Can As New Trust buy life policy from Old Trust?
- Under Grantor Trust rules, all assets of New
Trust are treated as owned personally by A for
income tax purposes - The Transfer for Value Rule is an Income Tax rule
- A transfer directly to A (the Insured) is exempt
- IRS, after refusing to rule for many years, has
issued a number of favorable letter rulings - PLR 200228019 PLR 200247006 PLR 200606027
- PLR 200518061 PLR 200514001
-
IRS Private Letter Rulings are opinions rendered
by staff of the IRS relating to a specific case.
These opinions do not set legal precedent but do
provide some insight concerning the IRS attitude
toward the relevant tax issue. PLRs cannot be
relied on as can published rulings (Revenue
Rulings).
Life Insurance
29Transfer for Value
- Examples
- Getting As Policy from As Old Trust to As New
Trust - Any Other Options?
Life Insurance
30Transfer for Value
- Getting As Policy from Old Trust to New Trust
- The Super Conservative Solution
- A creates Family Limited Partnership
- A Transfers FLP interests to New Trust
- New Trust buys policy form Old Trust
- Trustee should sell for greater than cash value
- Avoid any Breach of Fiduciary Duty argument
- Results
- Partner of the Insured Exception Applies
- No Transfer for Value Problem/No Sec. 2042 Problem
Life Insurance
31Transfer Value of a Life Insurance PolicyRev.
Proc. 2005-25 TD 9223 Regulations
- New Insurance Valuation Rules apply to Transfers
of Life Insurance from - Employer to Employee
- Distribution or Purchase from a Qualified Plan
- Value to be used is the Fair Market Value, not
the - Cash Value
- Cash Surrender Value, or
- Interpolated Terminal Reserve (gift tax value)
Life Insurance
32Transfer Value of a Life Insurance PolicyRev.
Proc. 2005-25 TD 9223 Regulations
- Rev. Proc. 2005-25 valuation safe harbor for
Universal Life policies is the greater of - The Statutory Reserve
- The product of the PERC amount and the Average
Surrender Factor (ASF)
Life Insurance
33Transfer Value of a Life Insurance PolicyRev.
Proc. 2005-25 TD 9223 Regulations
- PERC Definition Aggregate of
- Cumulative premiums paid
- Plus earnings credited on contract
- Minus mortality charges and other reasonable
charges actually charges - Minus any distributions, withdrawals or
surrenders taken prior to valuation date
Life Insurance
34Transfer Value of a Life Insurance PolicyRev.
Proc. 2005-25 TD 9223 Regulations
- Average Surrender Factor (ASE) is an adjustment
to account for surrender charges. - Expressed as a number between .70 and 1.00
- Employment Based Transfers - subject to IRC 79,
83 or 402(b), the ASE is 1.00 - Note No surrender charges can be taken into
account in a transfer from employer to employee - Qualified Plan Based Transfers- the ASE is
greater of a) .70, or b) fraction of CSV/PERC as
if surrender was on first day of policy year
Life Insurance
35Transfer Value of a Life Insurance PolicyRev.
Proc. 2005-25 TD 9223 Regulations
- For Whole Life Type Products, the safe harbor
value is the greater of - Interpolated Terminal Reserve
- Plus Unearned Premium, etc.
- product of the PERC and the ASE
- (no ASE adjustment if the distribution is from
employer to employee)
Life Insurance
36Gift Tax Value of Life Insurance
- Gift Value is Interpolated Terminal Reserve
- In early years - close to premiums paid
- In later years, equal to Cash Surrender Value
- Probably the Account Value of a UL or VUL policy
Life Insurance
37Estate Tax Inclusion of Life Insurance
- Section 2042
- Death Proceeds includable in Decedents Taxable
Estate if - Payable to Decedents Estate
- Payable to Others, and decedent possessed at his
death any of the policys incidents of ownership,
exercisable alone or in conjunction with any
other person.
This is a summary only of the tax issues related
to federal gift and estate laws and is not
intended as tax or legal advice. Specific advice
should obtained from a qualified professional.
Life Insurance
38Estate Tax Inclusion of Life Insurance
- Section 2035
- Death Proceeds includable in Decedents Taxable
Estate if - Decedent transferred or relinquished an interest
in property (including any incidents of ownership
in a life insurance policy on Decedents life)
during the 3 year period ending on the date of
decedents death.
This is a summary only of the tax issues related
to federal gift and estate laws and is not
intended as tax or legal advice. Specific advice
should obtained from a qualified professional.
Life Insurance
39Life Insurance Tax Traps
- Goodman Triangle Problem
- Dad doesnt want to pay legal fees to create a
trust - He names responsible Child A as owner of his life
insurance policy - Child A and Child B are policy beneficiaries
- Dad dies Child A is deemed to have made a
taxable gift of ½ of the death proceeds to Child B
This is a summary only of the tax issues related
to federal gift and estate laws and is not
intended as tax or legal advice. Specific advice
should obtained from a qualified professional.
Life Insurance
40Life Insurance Tax Traps
- Life Insurance Owned by Multiple Individuals
Present Interest Exclusion Issue - Dad doesnt want to pay legal fees to create a
trust - He names both Child A and Child B as owners of
his life insurance policy - Dad pays all policy premiums
- Dads premium payments are all taxable gifts
They do not qualify for the annual gift tax
exclusion
This is a summary only of the tax issues related
to federal gift and estate laws and is not
intended as tax or legal advice. Specific advice
should obtained from a qualified professional.
Life Insurance
41Life Insurance Tax Traps
- Life Insurance Owned by Multiple Individuals
Present Interest Exclusion Issue - Joint owners must all consent to exercise any
policy rights - Therefore, no individual owner is deemed to have
a present interest in a policy gifted to multiple
parties - Same with the payment of premiums on a policy
owned by multiple parties
Life Insurance
42Life Insurance Tax Traps
- Life Insurance Owned by a Credit Shelter Trust
- Could be a Great Idea, unless
- Insured is named Trustee
- Insured is given a Limited Power of Appointment
over the Credit Shelter Trust
Life Insurance
43Life Insurance Tax Traps
- Corporate Owned Policy Payable to a Personal
Beneficiary - Death Benefit may be taxed as a dividend
- Death Benefit may be taxed as compensation
- Death Benefit will be deemed to have been
constructively paid - First to corporation
- Then from corporation to Deceased Employee,
- Then from Deceased Employee to named beneficiary
- Depending upon beneficiary, could also be a
Transfer for Value
Life Insurance
44Perspective
- Primary purpose is to provide cash to beneficiary
at death of the insured. - Income to help support a family, put children
through college, pay off mortgages, pay estate
taxes, fund a buy-sell plan, or make a charitable
bequest. - Secondarily, permanent life insurance policies
also build up tax deferred cash values. - May be used to reduce/skip premiums, help provide
cash for emergencies, even help supplement
retirement income. - Congress provides certain tax benefits for life
insurance as a public policy due to its value to
society. Lets keep things in perspective as
abusive uses of the tax benefits can lead to loss
of those benefits.
45Why Life Insurance?
- Provides funds on-time, during period of greatest
need, regardless of when death occurs - Income tax free death proceeds
- Potentially Estate tax free death proceeds (with
appropriate estate planning) - Income tax deferred cash value growth
- Favorable basis recovery of lifetime
distributions - Cash value loans in excess of basis also income
tax free
Life Insurance
46Common Uses of Life Insurance Proceeds
- Estate tax transfer costs
- State death transfer costs
- Family income maintenance
- Payment of mortgages and debts (both personal and
business) - Educational needs for children/grandchildren
- Equalization of inheritances
- Special Needs situations
Life Insurance
47Uses of Life Insurance (cont.)
- Multiple marriage situations
- Income tax issues on Qualified Plans and other
IRD items - Wealth replacement of assets transferred directly
(or indirectly) to charitable institutions
Life Insurance
48MassMutual Financial Group is a marketing
designation (or fleet name) for Massachusetts
Mutual Life Insurance Company (MassMutual) and
its affiliates.
Massachusetts Mutual Life Insurance Company and
affiliates, Springfield, MA 01111-0001
www.massmutual.com