| Gross estate | $1,200,000 | |
| Marital Deduction | (700,000) | |
| Taxable Estate | $500,000 | |
| Gross Tax | $155,800 | |
| Less: Unified Credit | (155,800) | |
| Net Tax | 0 |
| D's actual taxable estate | $500,000 | |
| QDOT property | 700,000 | |
| Total | $1,200,000 | |
| Gross Tax | $427,800 | |
| Less: Unified Credit | (192,800) | |
| Net Tax | § 235,000 | |
| Less: Tax that would have been imposed on D's actual taxable estate of $500,000 | 0 | |
| Section 2056A Estate Tax | $235,000 |
| Gross Estate | $2,000,000 | ||
| Marital Deduction | (700,000) | ||
| Taxable Estate | $1,300,000 | ||
| Gross Tax | $469,800 | ||
| Less: Unified Credit | 192,800 | ||
| State Death Tax Credit Limitation (lesser of $51,600 or $70,000 tax paid) | 51,600 | (244,400) | |
| Estate Tax | $225,400 |
| D's Actual Taxable Estate | $1,300,000 | |
| QDOT Property | 800,000 | |
| Total | $2,100,000 | |
| Gross Tax | $829,800 | |
| Less: Unified Credit | (192,800) | |
| Pre-2011 section 2056A estate tax | $637,000 | |
| (A) State Death Tax Credit Computation: | ||
|
Code of Federal Regulations
479
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| (1) State death tax paid by S's estate with respect to the QDOT [$40,000] plus state death tax previously paid by D's estate [$70,000] = $110,000. | ||
| (2) Credit limit under section 2011(b) (based on D's adjusted taxable estate of $2,040,000 under sections 2056A(b)(2)(A) and 2011(b)) = $106,800. | ||
| (B) State death tax credit allowable against section 2056A estate tax (lesser of paragraph (ii)(A)(1) or (2) of this Example 2 | (106,800) | |
| Net Tax | $530,200 | |
| Less: Tax that would have been imposed on D's taxable estate of $1,300,000 | 225,400 | |
| Section 2056A Estate Tax | $304,800 | |