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Structured settlements
Structured settlement - information for buying or selling structured settlements : cash settlements and otherwise: structuredsettlementinfo.net
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A structured settlement
is a financial or insurance arrangement, including periodic payments, that a
claimant accepts to resolve a personal injury tort claim or to compromise a
statutory periodic payment obligation. Structured settlements were first
utilized in Canada and the United States during the 1970s as an alternative to
lump sum settlements. Structured settlements are now part of the statutory tort
law of several common law countries including: Australia, Canada, England and
the United States. Although some uniformity exists, each of these countries has
its own definitions, rules and standards for structured settlement. Structured
settlements may include income tax and spendthrift requirements as well as
benefits. Structured settlement payments are sometimes called “periodic
payments”. A structured settlement incorporated into a trial judgment is called
a “periodic payment judgment”.
Structured Settlements in the United States
The United States has enacted structured settlement laws and regulations at both
the federal and state levels. Federal structured settlement laws include
sections of the Federal Internal Revenue Code. State structured settlement laws
include structured settlement protection statutes and periodic payment of
judgment statutes. Medicaid and Medicare laws and regulations impact structured
settlements. To preserve a claimant’s Medicare and Medicaid benefits, structured
settlement payments may be incorporated into “Medicare Set Aside Arrangements”
the “Special Needs Trusts”.
Injury victims should know that structured settlements are endorsed by many of
the nation's largest disability rights organizations, including the American
Association of People with Disabilities [1] and the National Organization on
Disability [2].
Definitions
The United States definition of “structured settlement” for Federal income
taxation purposes, found in Internal Revenue Code Section 5891(c)(1), is an
"arrangement" that meets the following requirements:
* A structured settlement must be established by:
o A suit or agreement for periodic payment of damages excludable from gross
income under Internal Revenue Code Section 104(a)(2); or
o An agreement for the periodic payment of compensation under any workers’
compensation law excludable under Internal Revenue Code Section 104(a)(1); and
* The periodic payments must be of the character described in subparagraphs (A)
and (B) of Internal Revenue Code Section 130(c)(2) and must be payable by a
person who:
o Is a party to the suit or agreement or to a workers' compensation claim; or
o By a person who has assumed the liability for such periodic payments under a
Qualified Assignment in accordance with Internal Revenue Code Section 130.
Legal Structure
The typical structured settlement arises and is structured as follows: An
injured party (the claimant) settles a tort suit with the defendant (or its
insurance carrier) pursuant to a settlement agreement that provides that, in
exchange for the claimant's securing the dismissal of the lawsuit, the defendant
(or, more commonly, its insurer) agrees to make a series of periodic payments
over time. The insurer, a property/casualty insurance company, thus finds itself
with a long-term payment obligation to the claimant. To fund this obligation,
the property/casualty insurer generally takes one of two typical approaches: It
either purchases an annuity from a life insurance company (an arrangement called
a "buy and hold" case) or it assigns (or, more properly, delegates) its periodic
payment obligation to a third party which in turn purchases an annuity (which
arrangement is called an "assigned case").
In an unassigned case, the property/casualty insurer retains the periodic
payment obligation and funds it by purchasing an annuity from a life insurance
company, thereby offsetting its obligation with a matching asset. The payment
stream purchased under the annuity matches exactly, in timing and amounts, the
periodic payments agreed to in the settlement agreement. The property/casualty
company owns the annuity and names the claimant as the payee under the annuity,
thereby directing the annuity issuer to send payments directly to the claimant.
If any of the periodic payments are life-contingent (i.e., the obligation to
make a payment is contingent on someone continuing to be alive), then the
claimant (or whoever is determined to be the measuring life) is named as the
annuitant or measuring life under the annuity.
In an assigned case, the property/casualty company does not wish to retain the
long-term periodic payment obligation on its books. Accordingly, the
property/casualty insurer transfers the obligation, through a legal device
called a qualified assignment, to a third party. The third party, called an
assignment company, will require the property/casualty company to pay it an
amount sufficient to enable it to buy an annuity that will fund its newly
accepted periodic payment obligation. If the claimant consents to the transfer
of the periodic payment obligation (either in the settlement agreement or,
failing that, in a special form of qualified assignment known as a qualified
assignment and release), the defendant and/or its property/casualty company has
no further liability to make the periodic payments. This method of substituting
the obliger is desirable for property/casualty companies that do not want to
retain the periodic payment obligation on their books. Typically, an assignment
company is an affiliate of the life insurance company from which the annuity is
purchased.
An assignment is said to be "qualified" if it satisfies the criteria set forth
in Internal Revenue Code Section 130 [3]. Qualification of the assignment is
important to assignment companies because without it the amount they receive to
induce them to accept periodic payment obligations would be considered income
for federal income tax purposes. If an assignment qualifies under Section 130,
however, the amount received is excluded from the income of the assignment
company. This provision of the tax code was enacted to encourage assigned cases;
without it, assignment companies would owe federal income taxes but would
typically have no source from which to make the payments.
See also:
Structured settlement
factoring transaction
Personal injury
Annuity (financial contracts)
Sell structured settlements
Structured settlement - information for buying or selling structured settlements : cash settlements and otherwise: structuredsettlementinfo.net
Information on this site is copyrighted under the GNU
Free Documentation License, which can be read at:
http://en.wikipedia.org/wiki/Wikipedia:Text_of_the_GNU_Free_Documentation_License
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