(a) the beneficiary is noti. in the case of a post-1971 spousal trust, the spouse referred to in subparagraph a of the first paragraph of section 653,
ii. in the case of an alter ego trust, the taxpayer referred to in subparagraph a of the first paragraph of section 653, and
iii. in the case of a joint spousal trust, the taxpayer or spouse referred to in subparagraph a of the first paragraph of section 653; and
(b) the property is distributed on or before the earlier ofi. a reacquisition, in respect of any property of the trust, that occurs immediately after the day described in subparagraph a of the first paragraph of section 653, and
ii. the cessation of the trust’s existence.