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Revising Qualified Domestic Trust Regulations Under Section 2056A To Update Outdated References and Procedures; Correction

Rule
Treasury Department, Internal Revenue Service
Rule
July 24, 2026
2026-15008
26 CFR 20
July 24, 2026

πŸ“„ Summary

This document contains corrections to Treasury Decision 10050 published in the Federal Register on Friday, July 10, 2026. Treasury Decision 10050 contains final regulations that amend the Federal estate tax regulations applicable to estates of decedents passing property to or for the benefit of a noncitizen spouse in a domestic trust that satisfies all of the requirements under applicable Federal tax law and regulations to be a qualified domestic trust and for which the executor of the decedent's estate has made a qualified domestic trust election.
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