Bruce DeBoskey, examines the recent IRS Notice that allows foundations more latitude in mission related investing.
Richard Fox examines a recent IRS notice which favorably impacts the ability of Private Foundations to make mission related investments.
Author Richard Fox examines a recent IRS finding that cautions that charitable contribution deductions by "dealers" in property may be treated as ordinary income property.
In Notice 2014-21, The Internal Revenue Service provided guidance regarding the tax treatment of "convertible virtual currency", i. e. Bitcoin. For those who were thinking that Bitcoin or other similar ideas was a panacea for trading freely without the need for...
On December 23, 2013, the IRS issued Notice 2014-4, 2014-2 IRB, providing interim guidance for Type III supporting organizations (SOs) seeking to qualify as functionally integrated by supporting a governmental supported organization. The notice also provides...
The IRS has issued guidance regarding the deductibility of contributions to domestic single-member limited liability companies that are wholly owned and controlled by U.S. charities and for federal tax purposes are disregarded as entities separate from their owners...
In response to IRS Notice 2012-25, which requests items for inclusion in the 2012-2013 Guidance Priority List, attorney Lawrence P. Katzenstein of of Thompson Coburn LLP has suggested three exceptions or clarifications be made to the qualified appraisal...
The IRS has issued guidance for standard mileage rates for taxpayers to use in computing the deductible costs of operating an automobile for business, charitable, medical, or moving expense purposes for 2012. The rate for rendering gratuitous services to a...
The IRS has announced it is extending the due dates for Forms 706, 706A (Federal Estate Tax Returns), and 8939 (Allocation of Increase in Basis for Property Acquired From a Decedent.) for decedents who died in 2010 provided the executor files a timely Form 4768...
The Department of the Treasury, as part of its continuing effort to reduce paperwork and...
The IRS is asking for comments in connection with Rev. Proc. 2005-24, which provides a safe harbor procedure to avoid the disqualification of a charitable remainder trust because of the existence of a spousal right of election under state law, and notice 2006-...
Notice 2011-43 provides transitional relief for certain small organizations (those that normally have annual gross receipts of not more than $50,000 in their most recently completed taxable year) that have been automatically revoked because they failed to file an...
Writing for the national office of Deloitte Tax LLP, Laura Peebles has asked the IRS to clarify the gift tax consequences that Notice 2010-19 imposes on transfers to charitable remainder trusts.
The IRS has announced the February 27 earthquake in Chile is a qualified disaster for section 139 purposes. Accordingly, employer-sponsored private foundations may provide disaster relief to employee victims of the earthquake and recipients may exclude relief payments...
Writing on his own behalf and for Martin Hall of Ropes and Gray, LLP, Boston, attorney Lawrence P. Katzenstein of Thompson Coburn LLP, St. Louis, has asked the service to address the gift tax consequences of Notice 2010-19 on transfers to charitable remainder trusts.
The IRS has issued Notice 2010-19 in which it states that transfers made after 2009 to a grantor trust that is not wholly owned by the donor or the donor's spouse is treated as a gift of the entire interest in the property under section 2511(c).
Writing on behalf of the American Counsel on Gift Annuities, Conrad Teitell has responded to Notice 2010-19 in which he explains potential unintended and adverse gift tax consequences on transfers to charitable remainder trusts and asks the IRS to immediately issue...
The IRS has issued guidance explaining how exempt organizations required to file certain returns electronically may obtain a waiver of those requirements. The Notice also includes guidance on the timely filing of an electronically filed return that is rejected.
In Notice 2009-55 the IRS has issued its current list of transactions of interest identified in previous guidance that requires taxpayers entering into such transactions and material advisers who make a tax statement regarding such transactions to disclose them to the...
The IRS on Halloween issued Notice 2008-99 in which it announced its interest in a type of transaction involving the sale of interests in a charitable remainder trust that might result in inappropriate tax avoidance by the trust
Recent activity
CCA 201443019 Provides a Reminder That Fair Market Value Deduction Not Available for Donor Deemed to be a Dealer of Property Contributed to Charity
BITCOIN Ruling a Death Knell?
Standard Automobile Mileage Rates for 2012
Attorney Suggests Three Exceptions/Clarifications to Charitable Appraisal Rules
ACGA Asks IRS to Take Corrective Action on Notice
Service Issues Trick or Treat Notice Regarding CRT Transaction
New Guidance Issued for Gifts of Inventory Property
IRS Issues Guidance on Record-Keeping Requirements for Charitable Contribution Payroll Deductions
IRS Issues More Guidance on Reporting Requirements for Vehicle Donations
Treasury, IRS Announce Guidance on Automobiles Donated to Charity