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    The Internal Revenue Code specifies broad categories of trusts that qualify as S shareholders One of these, the qualified Subchapter S trust (QSST), is modeled after the grantor trust It is eligible to hold stock in an S corporation, and, under the S corporation rules, it is treated as a Subpart E trust (Sec 1361 (d); Regs Sec 1 1361-1 (j)) The QSST may be useful for estate planning
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    In United States federal income tax law, a qualified Subchapter S trust is one of several types of trusts that may retain ownership as the shareholder of an S corporation The beneficiary of such a trust makes a QSST election for each S corporation in which the trust holds stock A trust is eligible to hold S corporation stock if it is a Subpart E trust ("grantor trust"), a testamentary trust


















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