Category Archives: 41P

We have an update on the ATF’s proposed NFA trust rule changes

Last week, the board of the American Silencer Association (ASA) met with the NFA branch to get an update on the status of the proposed rule change regarding the use of trusts to acquire NFA items. As you may recall, the … Continue reading

Posted in 41P, ATF, BATFE, Form 1, Form 4, Machine Guns, NFA Trusts, Regulatory Rulemaking, SBR, Short Barreled Rifles, Short Barreled Shotguns | Comments Off on We have an update on the ATF’s proposed NFA trust rule changes

It’s time to comment on ATF’s disastrous proposed rulemaking

For those of you who are not familiar with the issue, the ATF is proposing to modify the regulations governing NFA applications for trusts, corporations, and other non-individual legal entities. If you are not a NFA collector, you might be tempted to … Continue reading

Posted in 41P, ATF, BATFE, Machine Guns, NFA Trusts, Short Barreled Rifles, Short Barreled Shotguns | Comments Off on It’s time to comment on ATF’s disastrous proposed rulemaking

The devil is in the details with proposed NFA trust changes

As of last Monday’s Federal Register, we now have the full text of the proposed regulatory changes that the Obama Administration is pushing to close what they are calling the ‘trust loophole’ and it is far worse than I had … Continue reading

Posted in 41P, ATF, BATFE, Estate Planning, Form 1, Form 4, NFA Trusts, Regulatory Rulemaking, Second Amendment | Comments Off on The devil is in the details with proposed NFA trust changes