The Tax Law of Charitable Giving. Bruce R. Hopkins

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that there was a gift or that enactment of the rules as to intangible religious benefits changed the law in this area.90 A set of parents claimed charitable contribution deductions for a portion of their tuition payments, with the “gift” element ostensibly being equal to the proportion of the school day allocated to religious education. The appellate court ruled that the additions to the tax law of charitable giving of the charitable gift substantiation requirements91 and the quid pro quo contribution rules92 did not change the substantive definition of a charitable contribution, but rather added “procedural provisions regarding the documentation of tax return information.” These rules include exceptions for contributions for which solely religious benefits are received.93

      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.

      Other instances in which a payment to a charitable organization was regarded as other than a gift include:

       Transfer of securities to a church in trust to provide for perpetual care of the transferor's plot in the church's cemetery106

       Payments to a church for the rental of a hall for the payors' child's wedding107

       Payments to a charitable organization that operated an adoption agency in exchange for adoption services108

       Payments to a temple for a bar mitzvah109

       Payments to a museum for lectures, concerts, and exhibitions110

       Payments to a rabbi in connection with the payor's divorce111

       Expenses of driving children to Girl Scouts functions, because the payor's own children were the principal beneficiaries of the transportation112

       Payments to a school for books and graduation announcements113

       Contribution of property that remained subject to the “donor's” unrestricted use and control114

       Payments

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