Charitable Lead Trusts: The Basics, Tips, & Traps for the Unwary



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Charitable Lead Trusts: The Basics, Tips, & Traps for the Unwary Northern California Planned Giving Council March 14, 2013 Jill S. Dodd, Esq. Manatt, Phelps & Phillips, LLP San Francisco, CA

The Basics DONOR/ SETTLOR CHARITY Gift $ Annuity or Unitrust amount Charitable Lead Trust Trusts for Heirs After term of years Charitable Lead Trusts March 14, 2013 2

Why Establish a Charitable Lead Trust? Assets to heirs at discounted rates Endow your gift to charity for a term of years Deplete your taxable estate at low or no gift or estate tax cost Charitable Lead Trusts March 14, 2013 3

Who Should Establish a Charitable Lead Trust? Philanthropic intent Do not need all your assets to live on Heirs can wait a period of time before receiving assets from Trust Charitable Lead Trusts March 14, 2013 4

Basic Types Three Basic Decisions: Annuity Trust v. Unitrust Testamentary v. Intervivos Grantor v. Non-grantor Charitable Lead Trusts March 14, 2013 5

Annuity v. Unitrust Unitrust: fixed percentage GST planning possible Annuity: fixed payments Generally more for heirs GST planning difficult Charitable Lead Trusts March 14, 2013 6

Testamentary v. Intervivos Testamentary Estate tax charitable deduction for present value of annuity stream Can allocate GST but same issue of CLAT v. CLUT Charitable Lead Trusts March 14, 2013 7

Testamentary v. Intervivos Intervivos Gift tax: completed present gift to heirs of a future interest completed present gift to charity Estate tax: out of estate so long as settlor does not retain control of beneficial enjoyment Who can be the charitable annuitant? Who can be the trustee? Income tax: grantor v. non-grantor Charitable Lead Trusts March 14, 2013 8

Grantor v. Non-Grantor CLT Non-Grantor CLT Donor does not get income tax deduction upon contribution CLT is separate taxpayer Compressed rate table Higher marginal rates for ordinary and passive income CLT has unlimited deduction from income tax for payments to charity No carryforward Gifts to foreign charities qualify Watch unrelated business income trap All testamentary CLTs Charitable Lead Trusts March 14, 2013 9

Grantor v. Non-Grantor CLT Grantor CLT Grantor retains certain powers Toggle powers off Grantor gets charitable income tax deduction for present value of annuity payments Gift for use of charity Recapture Grantor pays income tax as additional tax-free gift to heirs Caution: Capital gains to donor on distribution of appreciated assets in payment of annuity Charitable Lead Trusts March 14, 2013 10

Gift Tax - How Does It Work? Completed present gift of a future interest Three factors determine size of gift Length of term Annuity or unitrust percentage 7520 rate What is a successful CLT? Charitable Lead Trusts March 14, 2013 11

3 Ways to Supercharge the Gift Fund with discountable asset Increasing annuity payments Grantor trust Charitable Lead Trusts March 14, 2013 12

Discountable Assets Example: gift of limited partnership interest holding passive investment assets Assume: 7520 rate = 1.4% $1 million NAV discount off NAV = 25% Without discount: Hurdle rate = 1.4% With discount: Gift valued at $750,000 Hurdle amount = ($750,000)(.014) = $10,500 Hurdle rate = $10,500/1mm = 1.05% Charitable Lead Trusts March 14, 2013 13

Increase Annuity Payments Like GRAT: increase by 20% each year Shark Fin CLAT Issue: what is charitable intent of donor? Charitable Lead Trusts March 14, 2013 14

Grantor Trust CLT is not depleted by having to pay income taxes Grantor s taxable estate likewise depleted without paying gift tax Toggle off grantor trust status Charitable Lead Trusts March 14, 2013 15

Traps for the Unwary Private foundation rules apply Self-dealing Jeopardizing investments Excess business holdings Unrelated business income reduces charitable deduction in non-grantor trust Asset must generate cash flow required to pay annuity Unwanted discount if interests in closely held business used to pay annuity Could be deemed self-dealing if appraised value per unit is too high Deemed sale of appreciated assets distributed from grantor trust Charitable Lead Trusts March 14, 2013 16

Traps for the Unwary (Cont d) Best assets to use Discountable Reliable cash flow Pop in value a plus Avoid risks of self-dealing Application to closely held family business Charitable Lead Trusts March 14, 2013 17

Jill S. Dodd, Esq. Manatt, Phelps & Phillips, LLP One Embarcadero Center, 30 th Floor San Francisco, CA 94111 (415) 291-7421 jdodd@manatt.com 306509038 Charitable Lead Trusts March 14, 2013 18