Charitable remainder unitrusts and annuity trusts (collectively, “CRTsâ€) are effectively barred from investing in for-profit enterprises holding “debt-financed†assets, under Internal Revenue Code (“Codeâ€) Section 664(c). Under that provision, a CRT forfeits its exemption from federal income tax for any taxable year in which, in the quaint terminology of the tax legislation, “such trust, for […]
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