Failure to Report Basis of Property Donated Fatal to Charitable Contribution
Details matter when claiming a charitable deduction under IRC §170—and failing to follow all of the requirements will most often trigger a complete disallowance of the deduction. That’s true even of a claimed $33 million deduction in the case of RERI Holdings I LLC v. Commissioner, 149 TC No. 1.
In this case the LLC, being taxed as a partnership, purchased a remainder interest in property for $2.95 million in March 2002. In August 2003, the LLC assigned its interest to a university, a §501(c)(3) organization. The Form 1065 reported a noncash charitable contribution of $33,019,000 from this donation.
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