Tennessee Code Annotated

Tenn. Code Ann. § 35-15-813 (2026)

Duty to inform and report

✓ current as of May 2026
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Amended by 2022 Tenn. Acts, ch. 877, s 1, eff. 4/14/2022.

Amended by 2021 Tenn. Acts, ch. 420, s 11, eff. 7/1/2021.

Amended by 2021 Tenn. Acts, ch. 420, s 10, eff. 7/1/2021.

Amended by 2019 Tenn. Acts, ch. 197, s 6, eff. 4/25/2019.

Amended by 2013 Tenn. Acts, ch. 390, s 32, eff. 7/1/2013.

Acts 2004, ch. 537, § 71; 2007 , ch. 24, §§ 28 - 30; 2010 , ch. 725, § 9.


Notes of Decisions
Cited in 3 cases (2 in the last 5 years), 2016–2022 · leading case: Sammye M. Brock v. Benjamin Garrison Brock (Tenn. Ct. App. 2022).
Sammye M. Brock v. Benjamin Garrison Brock (Tenn. Ct. App. 2022). · cites it 35× “The Trial Court found that the language in the decedent’s last will and testament was intended to override the reporting requirements of Tenn. Code Ann. § 35-15-813 (a) and limit the trustees’ statutory obligation of reporting to qualified beneficiaries.”
Julia H. \Robin\" Meyers v. First Tennessee Bank, 503 S.W.3d 365 (2016). · cites it 3× “” An Advisory Commission comment to Tenn.Code Ann. § 35-15-813 (2007) states that the Trust Code employs the term “report” instead of “accounting” in order to negate any inference that the report must be prepared in any particular format or with a high degree of formality.”
Tigrett v. De Vos (W.D. Tenn. 2021). · cites it 2× “Plaintiffs’ Petition to Compel and to Declare Situs of Trusts requests that the Chancery Court compel Trustee, Lloyd De Vos, to provide accountings and financial information pertaining to the trusts pursuant to trust documents and Tenn. Code Ann. § 35-15-813 . (ECF No. 1-2.”
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