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An interesting case teaches us important lessons about gifts with restrictions. | |
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In Treasury Decision 8923, the IRS has finalized the "ghoul" charitable lead trust Regulations proposed on April 5, 2000. The final Regulations provide rules for the qualification of a guaranteed annuity interest or unitrust interest for purposes of the income, estate... | |
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The IRS has issued temporary regulations describing the time and manner in which certain tax-exempt organizations not currently required to file an annual information return under section 6033(a)(1) are required to submit an annual electronic notice including certain... | |
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In a recent Tax Court Case, a Massachusetts couple were denied charitable income tax deductions for easements they granted for two properties located in a dedicated Boston Historic District. While there were other tax issues in the case, as well, the issue of the... | |
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C. Scott Meyer presents an intriguing analysis of the Atkinson case, one that involved a poorly managed and maintained CRT. | |