Recent regulations from the IRS provide much-needed clarity for taxpayers who make large gifts to utilize the increased gift and estate tax applicable exclusion amount enacted as part of the Tax Cuts and Jobs Act (TCJA) before it sunsets in 2026.
Because of the temporary nature of the increased exclusion amount, there was concern that taxpayers who utilized some, or all, of the increased exclusion amount to shelter gifts prior to 2026, but passed away after 2026, might have an estate tax imposed on transfers that were previously sheltered from gift tax by the enhanced exclusion amount. The exciting news is that these regulations prevent the application of such a “clawback.”