[WSBAPT] RCW 11.68.110(1)(d)
Jordan Kostelyk
jordan at everlastinglegalsolutions.com
Thu Jan 29 09:27:33 PST 2026
Thank you Brent!! I will look at this.
> On 01/27/2026 1:57 PM PST Brent Williams-Ruth <brent at williams-ruthlaw.com> wrote:
>
>
> I think if there is a need to deal with a taxing authority that you want to look at 11.68.114 and use that statute to close.
>
> Brent Williams-Ruth (pronouns: he/him)
> Attorney-At-Law
>
> Law Offices of Brent Williams-Ruth, a division of BWR Consulting, PLLC
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>
> On Tue, Jan 27, 2026 at 12:37 PM Jordan Kostelyk <jordan at everlastinglegalsolutions.com mailto:jordan at everlastinglegalsolutions.com> wrote:
>
> > Under RCW 11.68.110(1)(d), "can the otherwise provided for" be satisfied by setting aside the amount estimated to be owed for back taxes in a separate account?
> >
> > The underlying facts are pretty simple, no will, only one heir, and one investment account. The heir does not reside in this country. A probate was opened in WA and heir obtained the funds in the investment account. A US money (bank type) account was opened by the heir and the estimated taxes are being held in this account. The estimated tax amount to be withheld was provided by the investment company.
> >
> > Would the above meet the statutory requirement? It is assumed there will be back taxes for the deceased in personal tax returns not estate tax.
> >
> >
> >
> > Thank you,
> > Jordan
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(Ms.) Jordan D. Kostelyk, Esq.
Tel: 425-244-5196
Email: jordan at everlastinglegalsolutions.com mailto:jordankostelykatlaw at gmail.com
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