The Tax Law of Charitable Giving. Bruce R. Hopkins

The Tax Law of Charitable Giving - Bruce R. Hopkins


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tuition into charitable contributions, and that receipt of the benefit was not otherwise dependent upon the making of the payment.87

      The factors that the IRS will ordinarily take into consideration, but will not limit itself to, are: (1) the absence of a significant tuition charge, (2) substantial or unusual pressure to contribute applied to parents of children attending a school, (3) contribution appeals made as part of the admissions or enrollment process, (4) the absence of significant potential sources of revenue for operating the school other than contributions by parents of children attending the school, and (5) other factors suggesting that a contribution policy has been created as a means of avoiding the characterization of payments as tuition.

      Still other illustrations of these situations, where a charitable deduction may be available if the amount paid exceeds the value of the return benefits and there is donative intent, are payments made at a charity auction and dues paid by participants in a tax-exempt booster club.


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