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31. ALSO RELATED TO QUESTION 29, HOW CAN WE DRAFT THAT TRUST WITH A U.S. BENEFICIARY SPOUSE SO THE TRUST IS TREATED AND TAXED AS

31. ALSO RELATED TO QUESTION 29, HOW CAN WE DRAFT THAT TRUST WITH A U.S. BENEFICIARY SPOUSE SO THE TRUST IS TREATED AND TAXED AS A NON-GRANTOR TRUST? (ALSO SEE 671 - 679)

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