Analysis of the IRS Time-Limited Settlement Initiative for Conservation Easement Disputes
“IRS announces terms of a time-limited settlement opportunity for eligible taxpayers involved in conservation easement disputes,” News Release IR-2026-65, May 13, 2026
On May 13, 2026, the Internal Revenue Service issued News Release IR-2026-65, announcing a "time-limited settlement opportunity for eligible taxpayers involved in conservation easement or historic preservation easement disputes with the IRS". As practitioners representing partnerships and investors in these transactions are acutely aware, the scrutiny surrounding deductions for qualified conservation contributions—governed by I.R.C. § 170(h)(1)—has intensified. This settlement initiative alters the landscape for resolving protracted disputes, offering structured terms that diverge from prior IRS settlement programs.
Read More