Donations of Complex Assets to the LDS Church. Brent Andrewsen, Esq. 50 E. South Temple Salt Lake City, UT (801)

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Transcription:

Donations of Complex Assets to the LDS Church Brent Andrewsen, Esq. 50 E. South Temple Salt Lake City, UT 84111 (801) 323-5946 bandrewsen@kmclaw.com

Overview of Presentation What is a complex asset? Almost anything other than cash or marketable securities. Typical donations include: Private securities (e.g. LLC interests, corporate stock, LP interests, etc.) Real estate Royalty producing assets Oil and gas or other mineral interests Licenses Artwork, Historical Artifacts and Collectibles

Why not donate just cash or public stock? Why donate assets if giving is complex? Primary driver tends to be tax related, but many gifts to the Church are driven by covenant and consecration Donations of appreciated property allow double tax benefits FMV deduction for the donor Non-recognition of tax on gain from sale of asset

What/who are the typical charitable donees? Gifts to the Church usually are to Corporation of The President of The Church of Jesus Christ of Latter-day Saints May be to Corporation of The Presiding Bishop... (e.g. donations of real estate are to CPB) Deseret Trust Company is a Church subsidiary where donors can establish DAFs and designated purpose funds (including memorial missionary funds), or participate in DTC s pooled income fund or establish a charitable gift annuity Church Schools (E.g. BYU, BYU-Hawaii, BYU-Idaho)

What/who are the typical charitable donees? Supporting Organizations Charitable Remainder Trusts Allows donor to retain an interest (income, unitrust or annuity payment) Donor receives a deduction based on value of remainder DTC often serves as trustee or successor trustee Charitable Lead Trust Structure affects tax consequences

General Policy Considerations Church has established a Gift Review Committee to review and approve gifts of complex assets Various departments have established policies and procedures with respect to gift review and due diligence prior to presenting gifts to the GRC Generally, reviewers need time to review and conduct due diligence Kirton McConkie assists with the review and recommendations with respect to gifts of closely held business interests and other complex asset gifts

Deduction Issues IRC Section 170 Donee classification makes a difference Private Foundation Contributions generally limited to 30% of AGI (cash and publicly traded securities) Complex assets (e.g. private stock) deduction also limited to donor s basis and AGI cap is 20% Public Charity Complex assets deduction allowed at FMV of asset but limited to 30% of AGI Church entities are public charities

Deduction Issues IRC Section 170 Substantiation Contemporaneous written acknowledgment Donations to DAF s require donor receive special acknowledgement that sponsoring charity donor advised fund has exclusive legal control over the assets contributed IRC Sec. 170(f)(18) Donor must establish value of contributed asset Complex asset valued more than $5,000 must be appraised The appraisal must be prepared by a "qualified appraiser" who has earned a designation from a recognized professional organization. See Mohamed v. Commissioner, T.C. Memo 2012-152 (no deduction without compliance)

Deduction Issues IRC Section 170 Substantiation Appraisal must include: description of the property transferred, date of contribution, any terms or conditions put on the property transferred, information on the qualified appraiser, the basis for the valuation, the appraiser's signature, and date of appraisal The appraisal cannot have been made more than 60 days prior to the date of the contributions, but may be done after the gift. If the contribution value is over $500,000, the full appraisal must be attached to the return. IRS Form 8283 must be signed by the appraiser and the donee and attached to the tax return.

Deduction Issues IRC Section 170 Special Issues: Arts and Collectibles 170(e) Who is the donor? What if the artist? What if the donor received the art as a gift from the donor? Art dealer? Will property be put to related use? Donor should get certification of charity s intent Be aware of fractional interest issue Relinquishment of art is important Does the gift include intellectual property rights? Church concern about validity of appraisals will look at reasonableness, even if obligation rests with donor

UBIT Unrelated Business Income Tax ( UBIT ) UBIT creates tax erosion Net gift is lower than FMV Most donors and many advisors are completely unaware of UBIT implications Common types of UBIT include: Acquisition indebtedness S-corporation Hot assets and operating businesses

UBIT Acquisition indebtedness under IRC Section 514 Debt used for acquisition of investment property Beware of pass through entities (e.g. gift of LP interest of private equity fund that uses leverage for some of its investments) Ratio of debt to basis creates taxable amount Average acquisition indebtedness during last12 months over basis

UBIT S-corporation gifts IRC Section 512(e): (1) If an organization described in section 1361(c)(2)(A)(vi) or 1361(c)(6) holds stock in an S corporation (A) such interest shall be treated as an interest in an unrelated trade or business, and (B) notwithstanding any other provision of this part (i) all items of income, loss, or deduction taken into account under section 1366(a), and (ii) any gain or loss on the disposition of the stock in the S corporation, shall be taken into account in computing the unrelated business taxable income of such organization.

UBIT S-corporation gifts cont. Nonprofit corporations pay UBIT at highest corporate rates Also are subject to lower charitable deduction (e.g. 10% of AGI) limit Charitable trusts pay lower tax rate (e.g. capital gains rate) May deduct up to 50% of AGI Charitable trust supporting org may allow better overall tax result with respect to S-corp gifts Working on establishing gifting vehicle to minimize tax and facilitate these types of gifts

UBIT Operating companies and hot assets Gain from sale of partnership interest generally treated as sale of capital asset. See IRC Sec. 741. The presence of hot assets in the partnership affects the character of gain recognized from a sale as well as the allowable amount of a charitable contribution of the interest. Hot assets include receivables, inventory, and depreciation recapture items Charity recognizes UBIT on hot assets as part of sale, and donor must reduce deduction by the amount of ordinary income that would have been realized if property had sold on contribution date Income received by charity during holding period may be subject to UBIT

UBIT Charitable Remainder Trusts Are not qualified S-corporation shareholders UBIT in CRT is taxed at 100%. See IRC 664(c) Thus, CRT s are not good charitable gifting vehicle for complex assets with UBIT consequences (e.g. partnership interests), unless the asset will be immediately sold. UBIT amount may be insignificant in relation to capital gains. Must run the numbers

Bargain Sale Treatment Partnership Assets with general indebtedness A charitable contribution of a debt-encumbered asset is treated in part as a contribution and in part as a sale. See Revenue Ruling 75-194, 1975-1 CB 80 The charitable deduction is the excess of the fair market value of the property over the debts to which it is subject The sale portion is driven by the amount of debt on the property. The seller/contributor is deemed to have realized an amount equal to any debt assumed by the donee or subject to which the donee takes the property This includes gifts of partnership interests, if the donating partner is relieved of his/her share of partnership liabilities

Excess Business Holdings IRC Sec. 4943 Applicable to DAF s, Supporting Organizations and Private Foundations Excise tax of 10% of any excess business holdings Permitted holdings is 20% of all voting stock reduced by the percentage of voting stock held by all disqualified persons (defined below). However, if the private foundation and all disqualified persons own less than 35% of the voting stock and effective control of a corporation is held by one or more persons other than disqualified persons (confirmed by a private letter ruling from the IRS), then 35% is substituted for 20% defining Voting stock includes profit interests in partnership entities

Excess Business Holdings IRC Sec. 4943 Exceptions: Entities that earn 95% of revenues from passive sources (look through to underlying assets) Program related investments De minimis rule (less than 2% charity ownership) Five year disposition if charity acquired by gift or bequest (which may be extended another 5 years)

Other Excise Tax Issues IRC Sec. 4941 Donated property subject to debt Other self dealing issues IRC Sec. 4942 Needs cash to make 5% payout IRC Sec. 4958 Automatic excess benefits for SO s and DAF s Compensation, reimbursement, loans, etc.

Asset Liquidity Church, like other charities, does not like illiquid assets Thus, gifts usually must have a liquidity option in the near future Assignment of Income Doctrine How close is to close in terms of timing of gift and timing of sale transaction? 90 days, 45 days, 1 day? Key question: At the date of a gift is the charitable donee legally bound to complete a previously negotiated sales transaction or can it, renegotiate, change the terms, or walk away from the transaction altogether without legal recourse?

Asset Liquidity Charity issues with sale of gifted assets: Limited reps and warranties Charity has not operated business or participated in management Can rep as to ownership of assets and authority to sell/execute documents Indemnification Usually will not indemnify beyond net value of gift Other considerations dependent on transaction

Completing the Gift Buy-sell terms in closely held business agreements Who is required to approve a transfer? Have all approvals been obtained? What if all the consents are not received? Other rights affecting ownership Is asset subject to any rights of first refusal, options, etc.?

Valuation/Liabilities Minority interest discounts Should be taken into consideration for valuation What is impact of sale subsequent to gift? Does the gift bear any risk of liablity? Debts or guaranties of business owners Working interests Taxes, HOA fees, etc.

Specific Church Policies for Complex Assets Closely Held Stock Strong preference for C-Corp stock, but LLC and partnership interests will be considered Must be able to be liquidated within 30 days S-Corp stock currently viewed dis-favorably, but may be accepted (May have new way of addressing this issue soon) Due diligence required and GRC approval (See Closely Held Donation Packet)

Specific Church Policies for Complex Assets Real Estate May be raw land, commercial or residential property Must be approved following due diligence (See Real Estate Donation Packet) Due to nature of due diligence, year end gifts are difficult Need to verify title, conduct environmental reviews, etc. For tithing or other specific credit to be given, property must be saleable within 9 months

Specific Church Policies for Complex Assets Artwork and Collectibles Gift must be compatible with principles, values and religious, charitable and educational mission of the Church Only outright gifts are accepted Commissioned works must be approved by appropriate committees Relevant entity/departments must be involved in case of historical or artistic materials (e.g. Church History, Temple, BYU etc.)

Specific Church Policies for Complex Assets Insurance policies Whole, universal and variable life insurance policies are accepted. Term policies are not, but Church may be beneficiary Must not have any outstanding loans Church (or related entities) must be irrevocable owner and sole beneficiary(ies) Donor must agree to make premium payments, if required Must first determine that Church has insurable interest

Questions? Thank you.