The Tax Law of Charitable Giving. Bruce R. Hopkins

The Tax Law of Charitable Giving - Bruce R. Hopkins


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rel="nofollow" href="#ulink_e1e4cc88-0d6b-509a-99aa-98340bbd1279">41 The court wrote, “In order to be entitled to a tax deduction, the taxpayer must not expect a substantial benefit as a quid pro quo for the contribution.”42 “However,” the court continued, the “charitable nature of a contribution is not vitiated by receipt of a benefit incidental to the greater public benefit.”43 While generally agreeing with the IRS's construction of the facts, the court found that the donors' decision to contribute the easement “would invariably encourage other neighboring landowners to impose similar development restrictions on their property.”44 The court also found that the donors believed that the imposition of a conservation easement on their property would diminish the value of the property. Thus, the court, in rejecting the IRS's allegations, ruled that any benefit that inured to the donors from the conveyance “was merely incidental to an important, public spirited, charitable purpose.”45


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