SPLIT-INTEREST CHARITABLE GIFTS: WHAT YOU NEED TO KNOW ABOUT CLTS AND CRTS



Similar documents
Split-Interest Charitable Giving Techniques in brief

PROFESSIONAL TAX & ESTATE PLANNING NOTES. Charitable Lead Trusts ISSUES IN THIS SERIES

State Bar of Texas Charitable Lead Trusts

II. CHARITABLE REMAINDER AND CHARITABLE LEAD TRUSTS BRYAN E. KEENAN GORDON, FOURNARIS, & MAMMARELLA P.A. WILMINGTON, DELAWARE

Volunteering. Donor Advised Funds

Charitable Trusts. Charitable Trusts

COMBINING CLTS AND CRTS TO BENEFIT DONORS

26 CFR : Rulings and determination letters. (Also: Part I, 170, 642(c), 2055, 2522; 1.170A-6, , (c)-3)

Charitable Planning Opportunities: Charitable Lead Trusts and Charitable Remainder Trusts

What You Should Know About Charitable Remainder Trusts

(b) an inter vivos CRUT providing for unitrust payments for a term of years (see Rev. Proc );

Planned Giving Primer

CHARITABLE LEAD TRUSTS: PROVIDING FOR FAMILY AND PHILANTHROPY

I CAN T GET NO CLATISFACTION. By Dan Rice INDEX. 1. Presentation Synopsis...Pages 2 5

CHARITABLE REMAINDER AND LEAD TRUSTS

Specialty Law Columns Estate and Trust Forum Reforming Charitable Remainder Trusts in Colorado Under the New IRS Procedures by Shelly M.

Charitable Planning Charitable Planning with IRAs and Qualified Plans

Is It a Grantor Chartable Lead Trust or Not - How the Grantor Trust Rules Interact with the Charitable Lead Trust, 30 J. Marshall L. Rev.

Tax Management Estates, Gifts and Trusts Journal

TRUST DOCUMENT PREPARATION AGREEMENT Charitable Remainder Trust

OESF and Other Tax Advantages

A Guide to Planned Giving

F. Trust Primer by Elise Lin, Ron Shoemaker and Debra Kawecki

Lesson 1 Introduction & Quick Calculators

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

CHAPTER 9 Charitable Giving

Estate Planning with Charitable Lead Trusts (CLTs) and Family Foundations

CHARITABLE LEAD TRUSTS. Michael V. Bourland Jeffrey N. Myers John W. Conner

Preserve and protect your legacy. UBS Trust Company, N.A.

Charitable Lead Trusts

The joy of charitable giving: Strategies and opportunities

Charitable Gift Planning

Charitable Remainder Trust Agreements Approved by the IRS

Wealth Transfer in a Rising Interest Rate Environment. Rates for Establishing Family Loans

Planning and Drafting charitable Lead trusts

Charitable Giving and Retirement Assets

DRAFTING CHARITABLE LEAD TRUSTS AND A LOOK AT THE IRS LEAD TRUST FORMS

Planning & Drafting a Testamentary Charitable Remainder Trust

Charitable Remainder Annuity Trust. Planned Charitable Giving Using a Split-Interest Trust

Advanced Estate Planning

Charitable Gifting: Overview and Tax Implications

CHARITABLE REMAINDER TRUSTS: CHARITY CAN BEGIN AT HOME

GIFT ACCEPTANCE POLICY COMPASSPOINT

California Estate Planning

GIVE AND YOU SHALL RECEIVE CHARITABLE GIVING, CREATING A PLAN THAT S RIGHT FOR YOU

CHARITABLE REMAINDER UNITRUSTS

Charitable Contribution Primer. Advantage of Lifetime Giving. Testamentary. Lifetime. Section 170 3/17/2015. Estate Tax Deduction

After years of skyrocketing real estate values,

UNIVERSITY OF MICHIGAN

Thoughts on giving. Where your treasure is there your heart will be also. (Luke 12:34)

Charitable {Giving Guide

INNOVATIVE CHARITABLE LEAD TRUST STRUCTURES: PROVIDING ECONOMIC EFFICENCIES TO A WEALTH TRANSFER WORKHORSE

Trust Ownership of Nonqualified Annuities: General Considerations for Trustees

PLANNING FOR INDIVIDUALS WITH DIMINISHED LIFE EXPECTANCY ERIC REIS

CHAPTER FOUR Private Foundations

Estates & Trusts. Rules. Release No. 13. Basic Wills. Durable. for Estates Irrevocable. Trusts Charitable. Trusts

Tax Strategies for Charitable Giving

Wealth Transfer and Charitable Planning Strategies Handbook

Instructions for Form 5227

INNOVATIVE CLAT STRUCTURES: PROVIDING ECONOMIC EFFICENCIES TO A WEALTH TRANSFER WORKHORSE

CHARITABLE TRUSTS FIRST EDITION

STOCK OPTIONS & CHARITABLE GIVING: DO THEY MIX?

THE AMERICAN LAW INSTITUTE Continuing Legal Education. Estate Planning in Depth

How are trusts and estates taxed for income tax purposes?

CHARITABLE LEAD ANNUITY TRUSTS (CLAT) Prepared by. John R. Anzivino, CPA. November 2011

Charitable Gift Strategies for the Owner of a Closely-Held Business

Charitable Gifts of Life Insurance 1

Millersville University Foundation Gift Acceptance Policy

White Paper: Charitable Remainder Unitrust

Charitable and Tax-Savings Strategies. a donor s guide. The Stelter Company

Charitable Remainder Annuity Trust

Transcription:

SPLIT-INTEREST CHARITABLE GIFTS: WHAT YOU NEED TO KNOW ABOUT CLTS AND CRTS Prepared for State Bar of Texas Intermediate Estate Planning & Probate Course June9,2014 John R. Strohmeyer 713.226.6690 jstrohmeyer@porterhedges.com

THE CHARITABLE DEDUCTION A transfer to or for the use of a charitable organization Benefitted Organizations Public Charities Supporting Organizations Donor-Advised Funds Private Foundations Operating and Non-Operating Substantiation of gifts greater than $250 IRC 170(f)(8) Gifts of partial interests are generally not eligible for the charitable deduction IRC 170(f)(3)(A) 2

THE CHARITABLE DEDUCTION CALCULATION Cash or property with gain? IRC 170(e) Percentage limitation IRC 170(b) 50% of Contribution Base IRC 170(b)(1)(A) 30% of Contribution Base IRC 170(b)(1)(B) Contribution Base IRC 170(b)(1)(G) 2% floor on miscellaneous deductions IRC 67 Limitation on overall deductions IRC 68 Amounts that cannot be deducted currently are carried forward to the next taxable year IRC 170(d) 3

SPLIT-INTEREST TRUSTS Types Charitable Lead Trusts IRC 170(f)(2)(B) Charitable Remainder Trusts IRC 170(f)(2)(A) Pooled Income Funds IRC 642(c)(5) Interests Lead Interest Remainder Interest 4

CHARITABLE REMAINDER TRUSTS Lead interest benefits non-charitable beneficiary IRC 664(d) Remainder interest benefits IRC 170(c) Organization IRC 664(d) Structured as either an annuity interest or a unitrust interest Treas. Reg. 1.664-1(a)(2) Not subject to Income Tax IRC 664(c) Subject to some of the Private Foundation Rules IRC 4947(a)(2) 5

CHARITABLE REMAINDER TRUSTS Tax Character of Distributions to Non-Charitable Beneficiaries Amounts of income (other than gains, and amounts treated as gains, from the sale or disposition of capital assets) to the extent that the CRT has such income for the current year or undistributed income for prior years IRC 664(b)(1) Capital gains to the extent that the CRT has undistributed capital gain for the current year or prior years IRC 664(b)(2) Other income to the extent of that other income for the current year or prior years IRC 664(b)(3) Distributions of corpus IRC 664(b)(4) 6

CRATS Lead interest must be a sum certain IRC 664(d)(1)(A) Remainder interest must be paid to or for the use of an IRC 170(c) organization IRC 664(d)(1)(C) Valuation of remainder interest IRC 664(d)(1)(D), 7520 Tax Consequences Income Tax: Deduction IRC 170(f)(2)(A) Gift Tax: Deduction IRC 2522(c)(2)(A) Estate Tax: Deduction IRC 2055(e)(2)(A) GST Tax: an IRC 170(c) organization and donor are in the same generation IRC 2651(f)(3) 7

Lead interest must annually pay a fixed percentage of the net fair market value of trust assets IRC 664(d)(2)(A) Remainder interest must be paid to or for the use of an IRC 170(c) organization IRC 664(d)(2)(C) Valuation of remainder interest IRC 664(d)(2)(D), 7520, Treas. Reg. 1.664-4 CRUTS 8

Tax Consequences Income Tax: Deduction IRC 170(f)(2)(A) Gift Tax: Deduction IRC 2522(c)(2)(A) Estate Tax: Deduction IRC 2055(e)(2)(A) GST Tax: Not applicable IRC 2651(f)(3) Alternate Payment Schemes CRUTS NICRUT Net Income CRUT Treas. Reg. 1.664-3(a)(1)(i)(b)(1) NIMCRUT Net Income Makeup CRUT Treas. Reg. 1.664-3(a)(1)(i)(b)(2) Flip CRUT Changes from NICRUT or NIMCRUT to standard CRUT on a triggering event Treas. Reg. 1.664-3(a)(1)(i)(b)(3) 9

CHARITABLE LEAD TRUSTS Lead interest benefits IRC 170(c) Organization IRC 170(f)(2)(B) Remainder interest benefits non-charitable beneficiary Structured as either an annuity interest or a unitrust interest Treas. Reg. 1.170A-6(c)(1) Must be a grantor trust IRC 170(f)(2)(B) Subject to some of the Private Foundation Rules IRC 4947(a)(2) 10

Lead interest must be a guaranteed annuity interest Treas. Reg. 1.170A-6(c)(1), 1.170A-6(c)(2)(i) Remainder interest may be held in trust or paid outright to non-charitable beneficiary Valuation of remainder interest Treas. Reg. 20.2031-7 CLATS 11

CLATS Tax Consequences Income Tax: Deduction IRC 170(f)(2)(B) Gift Tax: Deduction IRC 2522(c)(2)(B) Estate Tax: Deduction 2055(e)(2)(B) GST Tax: Inclusion ratio determined at termination of lead interest IRC 2642(e) Elect out of automatic exemption using Form 709 12

Lead interest must be a guaranteed unitrust interest Treas. Reg. 1.170A-6(c)(1), 1.170A-6(c)(2)(ii) Remainder interest may be held in trust or paid outright to non-charitable beneficiary Valuation of remainder interest Treas. Reg. 1.170A- 6(c)(3)(ii) analogizing to Treas. Reg. 1.664-4(e)(6) CLUTS 13

Tax Consequences Income Tax: Deduction, unless circumstances show charity may not receive beneficial enjoyment IRC 170(f)(2)(B); Treas. Reg. 1.170A-6(c)(3)(iii) Gift Tax: Deduction 2522(c)(2)(B) Estate Tax: Deduction 2055(e)(2)(B) GST Tax: GST exemption may be allocated at trust funding CLUTS 14

PRIVATE FOUNDATION RULES IRC 4941 Self-Dealing Transactions, including sales and exchanges, leases, loans, furnishing services or facilities, compensation, between an IRC 4946(a)(1) Disqualified Person and the CLT IRC 4943 Excess Business Holdings Holding greater than 20% interest in enterprise owned by an IRC 4946(a)(1) Disqualified Person IRC 4944 Jeopardy Investments Investments that jeopardize carrying out exempt purpose IRC 4945 Taxable Expenditures Amounts paid to carry on propaganda or influence legislation 15

REPORTING Form 1041 U.S. Income Tax Return for Estates and Trusts Form 1041-A U.S. Information Return Trust Accumulation of Charitable Amounts Form 4720 Return of Certain Excise Taxes on Charities and Other Persons Under Chapters 41 and 42 of the Internal Revenue Code Form 5227 Split-Interest Trust Information Return Form 8282 Donee Information Return (Sale, Exchange, or Other Disposition of Donated Property) Form 8283 Noncash Charitable Contributions 16

Split-Interest Charitable Trusts: What You Need to Know About CRTs and CLTs Charitable Remainder Annuity Trusts IRS Revenue Procedures and Forms John R. Strohmeyer Porter Hedges LLP 1. Rev. Proc. 2003-53 Inter Vivos for One Life: http://www.irs.gov/irb/2003-31_irb/ar04.html 2. Rev. Proc. 2003-54 Inter Vivos for Term of Years: http://www.irs.gov/irb/2003-31_irb/ar05.html 3. Rev. Proc. 2003-55 Inter Vivos for Two Lives, Consecutive Interests: http://www.irs.gov/irb/2003-31_irb/ar06.html 4. Rev. Proc. 2003-56 Inter Vivos for Two Lives, Consecutive and Concurrent Interests: http://www.irs.gov/irb/2003-31_irb/ar07.html 5. Rev. Proc. 2003-57 Testamentary for One Life: http://www.irs.gov/irb/2003-31_irb/ar08.html 6. Rev. Proc. 2003-58 Testamentary for Term of Years: http://www.irs.gov/irb/2003-31_irb/ar09.html 7. Rev. Proc. 2003-59 Testamentary for Two Lives, Consecutive Interests: http://www.irs.gov/irb/2003-31_irb/ar10.html 8. Rev. Proc. 2003-60 Testamentary for Two Lives, Consecutive and Concurrent Interests: http://www.irs.gov/irb/2003-31_irb/ar11.html Charitable Remainder Unitrust 1. Rev. Proc. 2005-52 Inter Vivos for One Life: http://www.irs.gov/irb/2005-34_irb/ar06.html 2. Rev. Proc. 2005-53 Inter Vivos for Term of Years: http://www.irs.gov/irb/2005-34_irb/ar07.html 3. Rev. Proc. 2005-54 Inter Vivos for Two Lives, Consecutive Interests: http://www.irs.gov/irb/2005-34_irb/ar08.html 4. Rev. Proc. 2005-55 Inter Vivos for Two Lives, Consecutive and Concurrent Interests: http://www.irs.gov/irb/2005-34_irb/ar09.html 5. Rev. Proc. 2005-56 Testamentary for One Life: http://www.irs.gov/irb/2005-34_irb/ar10.html 3743499v1 1

6. Rev. Proc. 2005-57 Testamentary for Term of Years: http://www.irs.gov/irb/2005-34_irb/ar11.html 7. Rev. Proc. 2005-58 Testamentary for Two Lives, Consecutive Interests: http://www.irs.gov/irb/2005-34_irb/ar12.html 8. Rev. Proc. 2005-59 Testamentary for Two Lives, Consecutive and Concurrent Interests: http://www.irs.gov/irb/2005-34_irb/ar13.html Charitable Lead Trusts 1. Rev. Proc. 2007-45 Inter Vivos Grantor and Non-Grantor Charitable Lead Annuity Trust: http://www.irs.gov/irb/2007-29_irb/ar10.html 2. Rev. Proc. 2007-46 Testamentary Charitable Lead Annuity Trust: http://www.irs.gov/irb/2007-29_irb/ar11.html 3. Rev. Proc. 2008-45 Inter Vivos Grantor and Non-Grantor Charitable Lead Unitrust: http://www.irs.gov/irb/2008-30_irb/ar19.html 4. Rev. Proc. 2008-46 Testamentary Charitable Lead Unitrust: http://www.irs.gov/irb/2008-30_irb/ar20.html Split-Interest Trust Information Return 1. Form 4720 Return of Certain Excise Taxes on Charities and Other Persons Under Chapters 41 and 42 of the Internal Revenue Code: http://www.irs.gov/pub/irspdf/f4720.pdf 2. Instructions for Form 4720: http://www.irs.gov/pub/irs-pdf/i4720.pdf 3. IRS Form 5227: http://www.irs.gov/file_source/pub/irs-pdf/f5227.pdf 4. Instructions for Form 5227: http://www.irs.gov/instructions/i5227/index.html 5. Form 8282 Donee Information Return (Sale, Exchange, or Other Disposition of Donated Property): http://www.irs.gov/pub/irs-pdf/f8282.pdf 6. Form 8283 Noncash Charitable Contributions: http://www.irs.gov/pub/irspdf/f8283.pdf 7. Instructions for Form 8283: http://www.irs.gov/pub/irs-pdf/i8283.pdf 8. Form 8283-V Payment Voucher for Filing Fee Under Section 170(f)(13): http://www.irs.gov/pub/irs-pdf/f8283v.pdf 3743499v1 2