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Conservation easements.


Do you have a client who's interested in protecting the environment as well as getting a tax break? Recently, the Tax Court considered the deductibility of a conservation easement easement, in law, the right to use the land of another for a specified purpose, as distinguished from the right to possess that land. If the easement benefits the holder personally and is not associated with any land he owns, it is an easement in gross (e.g.  to a charity.

In 1988 Mr. and Mrs. Charles Glass purchased property on the shore of Lake Michigan. In the 1990s bald eagles returned to this area, and one roosted on their land. The property also was a suitable habitat for a couple of endangered plants.

In 1990 the couple gave a conservation easement on part of the property to a qualified charity. In 1992 and 1993 they gave two additional easements EASEMENTS, estates. An easement is defined to be a liberty privilege or advantage, which one man may have in the lands of another, without profit; it may arise by deed or prescription. Vide 1 Serg. & Rawle 298; 5 Barn. & Cr. 221; 3 Barn. & Cr. 339; 3 Bing. R. 118; 3 McCord, R.  to LTV LTV

See: Loan-to-value ratio
, a Michigan nonprofit organization, for the purpose of ensuring the scenic and natural resource value of the property would be retained forever by preventing development of the listed parts of the property. The easements did not restrict development of other parts of the property, which the Glasses used as a vacation home until 1994, when they converted it to their principal residence. They claimed a charitable contribution for both easements. The IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  objected to the deduction.

Result. For the taxpayers. IRC (Internet Relay Chat) Computer conferencing on the Internet. There are hundreds of IRC channels on numerous subjects that are hosted on IRC servers around the world. After joining a channel, your messages are broadcast to everyone listening to that channel.  section 170(f)(3) normally denies a charitable contribution for donations of less than a taxpayer's entire interest in a property, but there is an exception for a "qualified conservation contribution." To be eligible, the property must be a qualified real property interest, the contributee must be a qualified organization and the contribution must be exclusively for conservation purposes. The IRS said the contributions met the first two requirements but not the third.

Under section 170(h)(4) and (5), a contribution is made exclusively for conservation purposes if it is made in perpetuity and designed to

* Preserve land for the general public's outdoor recreation or education.

* Protect the relatively natural habitats offish off·ish  
adj.
Inclined to be distant and reserved; aloof.



offish·ly adv.

off
, wildlife or plants.

* Preserve open space for the public's scenic enjoyment.

* Preserve a historically important land area or structure.

The regulations expand the requirement to ensure the charity is able to enforce the restriction.

The legislative history makes clear that widespread use of this special contribution provision was not intended. The contribution should apply only to "the preservation of unique or otherwise significant land areas or structures." The taxpayers' case was aided by testimony from the director of the charity that the property was indeed a roosting spot for bald eagles and a proper place for threatened plants to grow. The Tax Court concluded the contribution met all the requirements.

Taxpayers desiring a charitable contribution for a conservation easement should carefully review the requirements, guarantee the documents contain the necessary provisions and restrictions and provide a qualified appraisal for the amount of the deduction.

* Charles F. Glass v. Commissioner, 124 TC no. 16.

Prepared by Edward J. Schnee, CPA (Computer Press Association, Landing, NJ) An earlier membership organization founded in 1983 that promoted excellence in computer journalism. Its annual awards honored outstanding examples in print, broadcast and electronic media. The CPA disbanded in 2000. , PhD, Hugh Culverhouse Professor of Accounting and director, MTA (1) (Message Transfer Agent or Mail Transfer Agent) The store and forward part of a messaging system. See messaging system.

(2) See M Technology Association.

1. (messaging) MTA - Message Transfer Agent.
 program, Culverhouse School of Accountancy, University of Alabama The University of Alabama (also known as Alabama, UA or colloquially as 'Bama) is a public coeducational university located in Tuscaloosa, Alabama, USA. Founded in 1831, UA is the flagship campus of the University of Alabama System. , Tuscaloosa.
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Title Annotation:qualified conservation contributions
Author:Schnee, Edward J.
Publication:Journal of Accountancy
Date:Nov 1, 2005
Words:474
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