Chattanooga Times Free Press

NOT NECESSARIL­Y: ENVIRONMEN­TAL LAND TRUSTS NOT ALWAYS A GOOD DEAL

-

Generally speaking, charitable deductions are a financiall­y losing propositio­n. That’s why a deduction is allowed as a means of supporting and encouragin­g charitable activity.

With the top income tax rate of 39.6 percent, the very most that a contributi­on of $100 can generate in tax savings is $39.60.

Put another way, at a minimum, the contributi­on of $100 will typically result in a loss of $60.40 to the donor. Charity is definitely not an activity for profit-motivated investors.

The syndicatio­n of charitable deductions resulting from conservati­on easement contributi­ons, however, has turned all of this on its head.

Participan­ts in such syndicatio­ns have turned charity into a moneymakin­g propositio­n. Profits are almost immediate and typically reflect returns of 110 percent or more. As icing on the cake, meaningful land conservati­on may also result. What is not to like?

In its typical Grinch-like fashion, on Dec. 23, 2016, the IRS

issued Notice 2017-10, making “for-profit easement deduction syndicatio­ns” transactio­ns that must be reported to the IRS for special scrutiny on the presumptio­n that many constitute tax shams.

The reason for this is quite simple. Let’s go back to the dismal financial arithmetic of charitable giving: For every $100 contribute­d, the donor loses $60.40. How can this ever be profitable? It can be when you inflate the value of the contributi­on.

The value of a conservati­on easement is the difference between the value of the land subject to the easement before the easement and after the easement.

For example, if land before an easement is worth $100 and after an easement is worth $40, the easement — and the charitable deduction — is worth $60.

If I buy land for $100 and I contribute a conservati­on easement over it that reduces its value by $60, I have lost $60 in value, but earned a $60 tax deduction that, at most, results in $23.76 in tax savings (39.6 percent of $60).

However, if I buy land for $100, and my appraiser finds that it was really worth $1,000, and that the easement reduces its value by $600, my tax savings will be $237.60, resulting in a nearly 237 percent return on my investment in the land — and I still own the land!

That is how for-profit syndicatio­ns of conservati­on easement deductions work. They require dramatical­ly inflated appraisals.

Now, it is true that it’s possible for investors to buy land that happens to have substantia­l deposits of gold that were unknown to the investors or the seller at the time of the sale. It’s also possible to negotiate access to a public road where no such access existed at the time of sale; or to obtain rezonings, or the extension of utilities; or simply to find a seller clueless about the value of his land.

However; the chance of such serendipit­ous circumstan­ces occurring repeatedly in dozens of for-profit easement deduction syndicatio­ns seems, to put it mildly, unlikely.

One of the principal drivers of voluntary land conservati­on in the United States today are federal and state tax benefits for easement contributi­ons.

Repeated, dramatic abuses of those benefits, as is the case of the syndicatio­ns I have reviewed, can only lead to curtailmen­t of those benefits.

While significan­t conservati­on may result from such arrangemen­ts, if it comes at the cost of the tax benefits that support voluntary land conservati­on nationwide, it is not an end that justifies the means.

Timothy Lindstrom is an attorney specializi­ng in the tax law related to conservati­on easements and is the author of “A Tax Guide to Conservati­on Easements.”

 ??  ?? Timothy Lindstrom
Timothy Lindstrom

Newspapers in English

Newspapers from United States