Based in Ramsey, NJ, Crowne Point Tax & Wealth Counsel serves families nationwide with Spousal Lifetime Access Trust Planning as part of a layered, multi-decade wealth architecture—not as a single document drafted in isolation.













No two SLATs should look alike. We design each SLAT Trust around the specific assets being gifted, the family's liquidity needs, and the grantor's estate tax position — matched to your broader layered architecture of dynasty trusts, GRATs, and IDGTs.
How a SLAT Trust is funded determines whether it survives IRS scrutiny. We coordinate the entire funding process, from asset valuation to gift tax reporting, ensuring every transfer is properly documented.
A SLAT without governance discipline creates fiduciary risk and potential estate inclusion. We handle trustee selection, family governance documentation, and the beneficiary protections that keep the structure on track across decades.
Slat Estate Planning is a multi-decade commitment. We provide the annual trust accountings, fiduciary income tax returns, and structure reviews that keep your SLAT Trust defensible and current with the law long after the initial drafting.
Reciprocal trust doctrine — if both spouses create SLATs for each other with substantially identical terms, the IRS can unwind both structures. Our drafting avoids this by differentiating trustee selection, distribution standards, and asset composition
Estate inclusion risk — certain retained interests or powers can pull SLAT Trust assets back into the grantor's estate. We conduct a retained-interest review on every structure before it is funded
Divorce and death — a SLAT ends its spousal benefit if the couple divorces or the beneficiary spouse dies. We include decanting and modification provisions where appropriate to address these scenarios
Adequate disclosure on Form 709 — proper gift reporting starts the statute of limitations running and is the difference between a defensible structure and an open audit question years later
Spousal Lifetime Access Trust Planning suits a specific kind of family those with significant appreciating assets and a clear window to act before exemption changes. Based in Ramsey, NJ, we work with qualifying families nationwide to design and coordinate these structures.
Married couples with estates exceeding the current exemption who want to reduce future estate tax whilst preserving spousal access
Pre-IPO founders moving low-basis shares into a SLAT Trust before a registration statement, locking in current valuation and removing future appreciation from the taxable estate
Business owners approaching a sale who want to shift ownership into a Spousal Lifetime Access Trust before a transaction closes
Families building a layered architecture of SLAT, GRAT, IDGT, and dynasty trust instruments and needing a Spousal Access Lifetime Trust Attorney to coordinate the full structure
Nik Agharkar integrates legal drafting with tax-saving strategy in every engagement
Spousal Lifetime Access Trust Planning sits within a layered architecture that includes GRATs, IDGTs, and dynasty trusts, not a standalone document service
Reciprocal trust doctrine avoidance, retained-interest review, and adequate Form 709 disclosure are standard on every SLAT Strategy engagement
We accept Slat Estate Planning engagements for the structure's full life, not just the initial filing
Licensed to practice law in New Jersey, with a nationwide client base and counsel tailored to the applicable laws and requirements of each engagement.