Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (2024)

Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (1)

A Private Trust is a legal arrangement where one party, known as the trustor or settlor, transfers property to another party, the trustee, to be held and managed for the benefit of specific individuals or entities, known as beneficiaries. Here's a concise overview:Key Elements of a Private Trust:– Trustor (Settlor): The individual or entity who creates the trust and transfers property into it.– Trustee: The person or entity responsible for managing the trust property according to the terms set out in the trust deed.– Beneficiaries: The individuals or entities who will benefit from the trust.– Trust Property: The assets transferred into the trust by the trustor, which can include cash, real estate, stocks, bonds, or other assets.– Trust Deed: The legal document that outlines the terms and conditions under which the trust will operate.Purposes of a Private Trust:– Asset Protection: Protecting assets from creditors or lawsuits.– Estate Planning: Ensuring the orderly transfer of assets to beneficiaries.– Tax Planning: Minimizing estate and gift taxes.– Wealth Management: Providing professional management of assets.Types of Private Trusts:– Revocable Trust: The trustor retains the right to alter or terminate the trust during their lifetime.– Irrevocable Trust: The trustor cannot modify or dissolve the trust once it has been established.– Discretionary Trust: The trustee has the discretion to decide how the trust income and assets are distributed among the beneficiaries.– Fixed Trust: The trust deed specifies the exact distribution of income and assets to the beneficiaries.

By Rohan Sogani

Table of Contents

  1. Trust Structure
  2. Overview of Indian Trust Act, 1882
  3. Strategic Considerations
  4. Roles of Settlor/Trustee/Beneficiary
  5. Type of Trusts
  6. Private Trusts vs. Will
  7. Taxation of Private Trusts
  8. Gift Received by Private Trusts
  9. Declaration of Beneficial Ownership
  10. Ring-Fencing of Assets
  11. Fema Aspects of Trusts – Overview

1. Trust Structure

Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (2)

2. Overview of Indian Trust Act, 1882

  • Section 3 of the Indian Trust Act, 1882 defines ‘Trust’ as:

“an obligation annexed to the ownership of the property, arising out of a confidence reposed in and accepted by the owner, or declared and accepted by him for the benefit of the another, or of another and the owner”.

  • Trust is not a separate legal entity. It is an obligation casted on the trustee by the settlor to employ the trust assets for the benefit of the beneficiaries.
  • Settlor/Author is the person who settles the trust. He can be a trustee or a beneficiary as well.
  • Trustees are the persons who are bestowed with the responsibility of managing the assets of the trust and rights and powers for wealth distribution.
  • Beneficiaries are the persons for whom the trust has been settled.
Sections

Particulars

1to3Preliminary&TitleandDefinitions
4to10CreationofTrust–Conditions
11to30DutiesandLiabilitiesofTrustees
31to45Rights&PowersofTrustees
46to54DisabilitiesofTrustees
55to69RightsandLiabilitiesofBeneficiaries
70to76VacatingtheofficeofTrustees
77to79CessationofTrust
80to96Certain Obligations – A Trust

3. Strategic Considerations

  • Controlled Succession Planning
  • Biz Managed Professionally
  • Asset protection
  • Creating single pool of investment
  • Maintenance of the Family
  • Passing of wealth from generation to generation

4. Roles of Settlor/Trustee/Beneficiary

4.1 Role of the Settlor

  • Settlor has no role to play in the operations of the trust
  • Settlor to decide on the Original Trustee, the trust framework and initial beneficiaries of thrust

4.2 Duties & Powers of the Trustee

  • To operate the trust as per the objects of the trust
  • To buy/sell property and invest the trust money and monitor the investments
  • To distribute income/assets of the trust
  • To get reimbursem*nt of expenses incurred while executing objects of the trust
  • To add or remove beneficiary
  • To add further Trustees

4.3 Entitlements to the Beneficiary

  • Enjoy profits of the trust property
  • To expect the trustee to properly protect and administer Trust property
  • To compel the trustee to perform his duty properly

Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (3)

5. Type of Trusts

  1. Revocable Trust v. Irrevocable Trust
  2. Oral Trust v. Written Trust
  3. Testamentary Trust v. Non-testamentary Trust
  4. Specific Trust v. Discretionary Trust

6. Private Trusts vs. Will

Particulars

PrivateTrust

Wills

PossibilityofSuccessionPlanning

Namebeneficiariesforproperty

Leavepropertytoyoungchildren

Reviseyourdocument

Avoidprobate

AttractsstampdutyontransferofImmovableProperty

Comesintoeffectafterdeath

7. Taxation of Private Trusts

Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (4)

Rates applicable to individuals will be charged if all the following conditions are satisfied:

  • Trust is declared by a settlor by way of a Will; and
  • Trust is declared exclusively for the benefit of any dependent relative; and
  • Such Trust is the only trust so declared by him

Rates applicable to AOP will be charged in a case where:

  • None of the beneficiaries:
    1. has taxable income exceeding the Basis Exemption Limit; or
    2. is a beneficiary under any other private Trusts

Or

  • Where the relevant income or part of the relevant income is receivable under a trust declared by any person by Will and such trust is the only trust so declared by him;

8. Gift Received by Private Trusts

  • Taxability in the Hands of Donor:Section 47(iii) – Transaction Not regarded as “Transfer”
  • Taxability in the Hands of Trust/Donee:
  • “Relative” in case of Trust
  • Section 56(2)(x): Provided that this clause shall not apply to any sum of money or any property received— (I) from any relative; or…
    (X) from an individual by a trust created or established solely for the benefit of relative of the individual;
  • Clause (i) of proviso – Relationship to be tested from recipient’s perspective i.e. it needs to be tested whether the donor qualifies as a ‘relative’ from the perspective of recipient
  • Clause (x) of proviso – For trusts, relationship needs to be tested from donor’s perspective and not from recipient’s perspective i.e. it needs to be tested whether beneficiaries for whose benefit the trust is settled qualify as ‘relative’ from the perspective of donor

9. Declaration of Beneficial Ownership

Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (5)

Where the member of the reporting company is a trust (through trustee), and the individual:

S.No.

IntimationtoCompanyTypeofTrust
1Trustee

DiscretionaryTrustorCharitableTrust

2

BeneficiarySpecificTrust
3AuthororSettlor

RevocableTrust

10. Ring-Fencing of Assets

  • Private Trusts has emerged as an effective vehicle for succession planning for BUSINESS HOUSES.

Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (6)

  • Transfer of Personal Assets to Trust, so that these assets can be insulated against possible future defaults of the businesses.
  • Insolvency and Bankruptcy Code, 2016 has ushered new framework which provides easier mechanism for lenders to initiate recovery proceedings.
  • Supreme Court in Lalit Kumar Jain vs. Union of India [2021] 127 taxmann.com 368 (SC) held that

“Guarantors obligation is not absolved for the balance amount dues due to involuntary process, i.e. by operation of law or due to liquidation or insolvency proceedings”

IBC – Impacting Transfer of Assets to Trust

  • Section 164 states that any transaction entered by the bankrupt during the period of 2 years, ending the filing of application for bankruptcy, which causes bankruptcy process triggered, shall be considered as an undervalued transaction.

“In such scenario there would be heavy onus on such individual, to prove that transfer of assets/property by him to private trust was out of a bonafide arrangement.”

11. Fema Aspects of Trusts – Overview

NRISettlorwith Residentand Non-Residentbeneficiaries–Trustin India
S.No.ParticularsGifttoNRGifttoresident
1SettlementofAssets

a.FromNRO

b.FromNRE

a.Ntf.13(R)–USD 1million repatriation from NRO

b.FreelypermittedfromNRE

Permitted
2SettlementofCurrency(FCY)by way of remittance from abroadFEMAnotapplicableasthereisno change of assets in India for NRFEMA not applicable as there is no change of assets in India for NR
3Settlement of Shares in Indian CompaniesFEM NDI Rules, 2019 – PermittedFEM NDI Rules, 2019 – Permitted
4Settlement of Immovable Property inIndiaFEM NDI Rules, 2019 – PermittedFEM NDI Rules, 2019 – Permitted
Resident Settlor with Resident and Non-Resident beneficiaries – Trust in India
S.No.ParticularsGifttoNRGifttoresident
1Settlement of Currency (INR)LRS Scheme – Permitted to NRI relativesFEMA not applicable
2Settlement of shares in Indian companiesFEM NDI Rules, 2019 – Approval Route, subject to conditionsFEMA not applicable
3Settlement of Immovable Property in IndiaFEM NDI Rules, 2019 – Permitted to NRI relativesFEMA not applicable
NRISettlorwithResidentand Non-ResidentbeneficiariesTrustoutsideIndia
S.No.ParticularsGifttoNRGifttoResident
1SettlementofForeignCurrencyFEMAnotapplicablePermitted
2Settlement of shares in Foreign companiesFEMAnotapplicableFEM OI Rules, 2022 – Permitted
3Settlement of Immovable Property outsideIndiaFEMAnotapplicable
Resident Settlor with Resident and Non-Resident beneficiaries – Trust outside India
S.No.ParticularsGifttoNRGifttoResident
1Settlement of currency (INR) under LRS schemeLRS Scheme – Permitted to any NRILRS Scheme – Not permitted

2

Settlement of shares in Foreign companiesFEM OI Rules, 2022 – Not permittedFEM OI Rules, 2022 – Permitted

3

Settlement of Immovable Property outsideIndiaFEM OI Rules, 2022 – Not permittedFEM OI Rules, 2022 – Permitted

4

Settlement of assets held outside India u/s. 6(4) of FEMAFEMAnotapplicableGeneral permission underOIRules

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Taxation and Other Aspects of Private Trusts – Overview | Strategic Considerations | Types (2024)
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