CHAPTER 16 Charitable Gift Transfers

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CHAPTER 16 Charitable Gift Transfers Circumstances where charitable gifts are of significant interest: 1) Clients have no direct descendants. 2) Clients have substantial assets and genuine charitable objectives. 3) Clients have substantial antipathy to paying taxes frustrate the tax collector at almost any cost. IRC provisions concerning charitable gifts: 170, 2055, 2522, 501(c)(3), 4940, et. seq Income, gift & estate tax & tax status of entity. 4/24/2015 (c) William P. Streng 1

Types of Charitable Gift Transfers P.2-3 Charitable contribution options: - Cash - Appreciated property - Bargain sale to charity - Horizontal split charitable interest gifts: (1) income interest retained, and (2) remainder interest retained (in trust or personal residence) - Charitable gift annuity - Conservation easements - Private foundations 4/24/2015 (c) William P. Streng 2

Tax Effectiveness of Charitable Gifts P.3 1) Avoid inclusion in the income tax base of the accrued appreciation in the gifted property. 2) Complete the gifts during lifetime to (1) reduce federal income tax liability (and save income tax money) and (2) thereby increase the assets in the client s estate (with estate tax exposure?). 3) Coordinate family giving and gifts through entities, including depleting assets of the older generation and increasing interests of younger generation members in the family business. 4/24/2015 (c) William P. Streng 3

Identifying an Entity as a Charity for Tax p.4 What is a Code 501(c)(3) organization? How organize the charity: corporation or trust? A state law issue (including re fiduciary risk for directors/trustees). How qualify the entity with IRS as a 501(c)(3) organization? IRS Form 1023. How does a potential donor verify the status of an entity as a 501(c)(3) organization? Note the definition of charitable gift in 170(a) for income tax; cf., E&G tax. 4/24/2015 (c) William P. Streng 4

Tax Eligibility of an Entity as a Charity p.4 PLR 200151045 p.5: 501(c)(3) (& 501(e) ); entity was organized to participate in a joint venture between various charitable hospitals to provide specialized health services in joint venture. Does this qualify for charitable tax exemption? How much charity care must be provided? What is the relevance of the unrelated business income tax rules Code 511-513? Determined in this PLR that no UBTI. 4/24/2015 (c) William P. Streng 5

How Designate Charitable Beneficiaries? Not to individual beneficiaries must be to a charitable entity ( 501(c)(3) entity). P.12 Local law determination may be required to determine the charitable status of a recipient entity. Note Bosch case re local law impact. Possible estate dispute settlement can provide for a distribution to charity (eligible for a charitable deduction). Vested at death? P.13. Better if a charitable gift is made by the estate beneficiaries (individuals then receiving an income tax deduction)? 4/24/2015 (c) William P. Streng 6

Percentage Limitations p.13 Federal income tax limit to 50% of a taxpayer s contributions base. Further FIT limits: 30% for capital gains property and 20% to private foundations. No percentage limitations for estate and gift tax purposes. Why? Should the client consider a gift of the entire estate to a private charitable foundation? Why not a large gift before death and reduced income taxes (and a charitable contributions deduction carryover)? 4/24/2015 (c) William P. Streng 7

Allocating the Tax & Expense Burden p.14 2055(c) specifies a reduction of the charitable gift if the tax liability and/or expenses are allocated against this gift. Will a state (e.g., Texas) tax apportionment statute help the resolution of this question? If charitable gift is burdened by expenses then an interrelated computation is required to determine the net deductible value of the gift. Pay the administration expense from estate income? Note the marital deduction, Hubert case and subsequent regulations? 4/24/2015 (c) William P. Streng 8

How Document the Fair Market Value of a Gift? Page 15: Substantiation requirements are applicable, including qualified appraisals for larger gifts for FIT purposes. See (1) Code 170(f)(11) concerning appraisals, and, (2) Code 170(f)(12) concerning contributions of used motor vehicles, boats and airplanes. Subsequent sale by the charity of the gifted property as relevant for determining gift value? 4/24/2015 (c) William P. Streng 9

Appreciated Capital Asset Property p.16 What is the enhanced after (income) tax cost to donor of a charitable gift of appreciated property (as contrasted with a charitable transfer of cash)? But, what about the potential for accrued appreciation disappearing at death (under Code 1014)? But, note prior possible carryover basis regime - Code 1022 (only for year 2010). 4/24/2015 (c) William P. Streng 10

Charitable Gifts of Ordinary Income Property Code 170(e)(1)(A). P.17 No tax arbitraging for ordinary income property for FIT purposes: - Inventory - Self-created art, or a manuscript for a book - Assets held for less than 12 months (STCG) - Section 306 stock (preferred stock bail-out) Make a charitable transfer of IRD items at death (e.g., IRA balances)? Why? P.18. 4/24/2015 (c) William P. Streng 11

Appreciated Tangible Personal Property p.18 Deduction for the full fair market value of the donated tangible personal property (e.g., a work of art) (except ordinary income property)? An income tax charitable deduction limit applies where the gift is not for the use by the charitable recipient: See Code 170(e)(1)(B). How make the charitable gift of tangible personal property for the use by the charity? 4/24/2015 (c) William P. Streng 12

Remainder in Tangible Personal Property P.19 Code 170(a)(3) provides a deduction for a charitable gift of a future interest in tangible personal property only when (1) all intervening interests have expired, or (2) the interests are held by non-related parties. A timing limitation. Why? Do paintings have legs? Cf., gift of a 1/2 interest (i.e., a vertical interest). See 170(o) must contribute the remaining vertical interest within ten years or by death or recapture of earlier deduction. 4/24/2015 (c) William P. Streng 13

Bargain Sales to Charity p.19 Code 1011(b): adjusted basis is allocated proportionately to (1) the portion deemed sold and (2) the portion donated to charity. Cf., treatment of a bargain sale (e.g., net gift) in the intra-family context. No basis allocation. PLR 9329017, p. 20: Charitable contribution of a remainder interest in a mortgaged farm. 170(f)(3)(A) & (B)(i). Holding that mortgage debt treated as amount realized for bargain sale to charity rules (even though donor remains liable on the mortgage). 4/24/2015 (c) William P. Streng 14

Gift of Vertically Divided Interests p.22 Examples: gift of part of shares of corporation; part of farm acreage; gift of mineral rights; gift of an easement (what type of easement? P.25). Note (earlier) vertical interest in painting. Cf., gift of a license to use a patent donor can not retain any substantial rights in the patent. Notice 2004-7, p. 23, re gifts of intellectual property (no deduction if a retained right). 4/24/2015 (c) William P. Streng 15

Gifts of Easements p.24 Code 170(f)(3)(B)(ii) & Code 170(h). Gift must be a contribution of a qualified conservation easement. I.e., for a conservation purpose, or for certified historical structures. 4/24/2015 (c) William P. Streng 16

Gift of Corporate Stock to Private Foundation p.25 Code 170(e)(1)(B)(ii) reduces the amount of the charitable contribution deduction when the gift is to a private charitable foundation. However, Code 170(e)(5) provides an exception from this rule for a gift of qualified appreciated stock. What stock is eligible for this treatment? Publicly traded stock? Mutual fund shares? ETFs? Gifts by insiders? See p. 25, fn. 30. 4/24/2015 (c) William P. Streng 17

Gift & Redemption of Closely Held Stock p.27 Structure: (1) Gift of stock to public charity; (2) charity then redeems stock; (3) reduction of earnings and profits; (4) increase in % interest of other shareholders (e.g., children). Issue whether (1) the gift and (2) the redemption transactions are to be collapsed for federal income tax purposes, with ordinary dividend treatment attributed to the donor. 4/24/2015 (c) William P. Streng 18

Charitable Gift of a Life Insurance Policy p.28 Can an individual give a life insurance policy (on that individual s life) to a charity & obtain a charitable deduction? Does the charity have an insurable interest? What is the amount of the deduction? See PLR 200209020, p. 28, charitable deduction allowable after expiration of the 30-day cancellation period for the single premium whole life policy. But, title not transferred. 4/24/2015 (c) William P. Streng 19

Charitable Gift Annuity p.31 Charity promises to make annuity payments for life in exchange for donor s transfer of cash or property. If appreciated property is transferred : 1) bargain sale to charity rules are applicable, 2) charitable gift of the excess value, and 3) income when the annuity payments are received. How determine the annuity amount? Cf., private annuity treatment (& timing rule). 4/24/2015 (c) William P. Streng 20

Charitable Remainder Trusts p.31 Code 170(f)(2)(A) specifies no income tax deduction for remainder gift (in intangibles) unless to a trust which is a CRAT or CRUT. Similarly, Code 2055(e)(2) (estate tax) and 2522(c)(2) (gift tax). Minimum charitable gift of 10% of total (cf., zero-out GRATS) & not + 50%. See Rev. Proc. 2003-53, p. 33, including other Rev. Procs. re various alternatives. CRATs & CRUTs defined in 664(d). 4/24/2015 (c) William P. Streng 21

Charitable Remainder Unitrust CRUT p.42 664(d)(2) charitable annuity based on a specified percentage of the value as determined on a specified date each year. See 664(d)(3) re a NIMCRUT or net income makeup unitrust. Only actual income is paid but subject to a recapture/subsequent make-up provision. 4/24/2015 (c) William P. Streng 22

Rev. Rul. 2002-20 p.43 CRUT benefits paid from CRUT to a separate trust for life of an individual who is financially disabled (i.e., unable to manage financial affairs). CRUT qualifies under 664 if funds are payable to a 2 nd trust for the life of individual and, on death, remaining funds are payable to estate of beneficiary. Trust is used to make necessary distributions and to avoid supplanting government benefits. 4/24/2015 (c) William P. Streng 23

Pooled Income Funds p.45 Code 642(c)(5) a mutual fund (in essence) runs by the charity (rather than a private trustee) with proportionate income distributable to life beneficiary. 4/24/2015 (c) William P. Streng 24

Personal Residence Remainder Interest Gift Code 170(f)(3)(B)(i) provides an exception from charitable remainder trust rules for a gift of a remainder interest in a family residence. Why? What is a family residence for this purpose? Including furniture and furnishings? Similarity to a QPRT in tax approach? 4/24/2015 (c) William P. Streng 25

Defective Charitable Remainder Trusts p.46 How deal with defective charitable remainder trusts? See Zella Hall decision, p. 46. See the trust qualified reformation provisions at Code 2055(e)(3). No more than a 5% variance from before to after. And, see PLR 201125007 (p. 54) re IRS agreeing that a qualified reformation occurred. 4/24/2015 (c) William P. Streng 26

Charitable Lead Trusts p.59 Code 170(f)(2)(B), 2055(e)(2)(B) and 2522(c)(2)(B). Lead interest for charity and remainder for private beneficiary. Grantor must be the owner of the icome udner the grantor trust rules. Charitable deduction for the discounted present value of the income stream payable to charity. 4/24/2015 (c) William P. Streng 27

Use of a Private Foundation p.60 Purpose for using a private charitable foundation as qualified under 501(c)(3)? Who controls? Monitoring also by state to assure charitable purposes are fulfilled? 4/24/2015 (c) William P. Streng 28

4/24/2015 (c) William P. Streng 29