From IRS Newswire <[email protected]>
Subject IR-2024-304: IRS alert: Charitable contribution scams on the rise; taxpayers beware of those promoting fraudulent schemes 
Date December 4, 2024 5:09 PM
  Links have been removed from this email. Learn more in the FAQ.
  Links have been removed from this email. Learn more in the FAQ.
Bookmark and Share [ [link removed] ]

a { color:#0073AF !important;} a:hover { color:#004673 !important;} &amp;amp;lt;!-- body { font-family: arial; } p { font-size: 12px; } li { font-size: 12px; } h2 { font-size: 24px; font-style: italic;} --&amp;amp;gt;
IRS.gov Banner
IRS Newswire December 4, 2024

News Essentials

What's Hot [ [link removed] ]

News Releases [ [link removed] ]

IRS - The Basics [ [link removed] ]

IRS Guidance [ [link removed] ]

Media Contacts [ [link removed] ]

Facts & Figures [ [link removed] ]

Around The Nation [ [link removed] ]

e-News Subscriptions [ [link removed] ]

________________________________________________________________________

The Newsroom Topics

Multimedia Center [ [link removed] ]

Noticias en Español [ [link removed] ]

Radio PSAs [ [link removed] ]

Tax Scams [ [link removed] ]

The Tax Gap [ [link removed] ]

Fact Sheets [ [link removed] ]

IRS Tax Tips [ [link removed] ]

Armed Forces [ [link removed] ]

Latest News Home [ [link removed] ]

________________________________________________________________________

IRS Resources

Contact My Local Office [ [link removed] ]

Filing Options [ [link removed] ]

Forms & Instructions [ [link removed] ]

Frequently Asked Questions [ [link removed] ]

News [ [link removed] ]

Taxpayer Advocate [ [link removed] ]

Where to File [ [link removed] ]

IRS Social Media [ [link removed] ]

________________________________________________________________________


Issue Number:    IR-2024-304

Inside This Issue
________________________________________________________________________

*IRS alert: Charitable contribution scams on the rise; taxpayers beware of those promoting fraudulent schemes** *

WASHINGTON — The Internal Revenue Service today warned taxpayers to avoid promoters of fraudulent tax schemes involving donations of ownership interests in closely held businesses, sometimes marketed as “Charitable LLCs.” 

These promotions often target higher-income filers and are considered abusive transactions by the IRS. 

Taxpayers should remember they are always responsible for the accuracy of information reported on their tax return. Participating in an abusive scheme to reduce their tax liability can result in assessment of the correct tax owed, penalties, interest, and potentially fines and imprisonment. Charities also need to be careful they do not knowingly enable these schemes. 

While taxpayers can properly deduct donations of closely held business interests, unscrupulous promoters sometimes lure taxpayers into schemes involving false charitable deductions. 

These schemes typically encourage higher-income taxpayers to create limited liability companies (LLCs), put cash or other assets into the LLCs, then donate a majority percentage of nonvoting, nonmanaging, membership units to a charity while the taxpayer maintains control of the voting units _and_ reclaims the cash or asset(s) directly or indirectly for personal use. The promoter sometimes has control over the charity that receives the donation. 

*IRS investigating abusive transactions* 

The IRS is currently using a variety of compliance tools to combat abusive donations, including thorough audits of tax returns and civil penalty investigations. The IRS has seen hundreds of tax returns filed using this abusive charitable contribution scheme. IRS active promoter investigations and taxpayer audits in this area have resulted in a promoter pleading guilty [ [link removed] ] and others being criminally convicted [ [link removed] ] of this scheme, including a donor who pled guilty to obstruction [ [link removed] ]. 

To avoid penalties, interest, and potential fines or imprisonment, the IRS encourages taxpayers to watch out for abusive transactions marketed by unscrupulous promoters. 

*Abusive scheme design** *

In the “Charitable LLCs” scheme, promoters create documents establishing the LLC for a fee. They then assist in the transfer of the taxpayer’s assets to the LLC and create documents that purport to transfer membership units in the LLC to a charity. The promoter might supply an appraisal supporting the valuation for the claimed gift and might even provide a list of charities willing to accept the membership units or identify a single charity that will accept the donation. 

Promoters might incorrectly advise clients that they can retain control and legally access the cash or other assets transferred to the LLC for their own personal use after the donation. Promoters might also execute an “exit strategy” for taxpayers to buy back their contributions at a significantly discounted price after a period of time.  

Generally, taxpayers cannot deduct a charitable contribution of less than their entire interest in property, and retaining rights to control the donated interests or buy back assets will disqualify the transaction as a deductible charitable contribution.* *

*Watch for red flags** *

Taxpayers should be wary of any scheme that involves transferring assets to an LLC, followed by the “donation” of a majority percentage of nonvoting, nonmanaging, membership units to a charity as a “charitable contribution” while the taxpayer retains control over and access to the assets. A valid charitable contribution requires the taxpayer give control over the donated assets to the charity. 

Taxpayers should use caution when they are promised any personal benefit, beyond the tax deduction, based on a charitable donation.  

Taxpayers should scrutinize transactions that include potential red flags. A few examples are described below: 


* Promoters marketing a transaction as a way to grow wealth in a “tax-free environment” and claim charitable contribution deductions.
* Promoters marketing a plan that requires the creation of one or more entities in order to make a charitable donation.
* Creating entities that do not engage in any business activity to facilitate a charitable donation.
* Donating an interest in an LLC that loans cash or other assets back to the taxpayer or a related party.
* The charity, as the majority owner of the LLC, has no control over the LLC or its assets.
* The taxpayer is allowed to personally use the assets contributed to the LLC after the donation.
* The promoter assists the taxpayer in the creation of intellectual property to fund the LLC prior to the donation.
* The taxpayer uses the LLC funds to purchase life insurance policies benefitting their heirs or a related party after the donation.
* The taxpayer retains the ability to reclaim the donated LLC interests from the charity for less than fair market value.
* The promoter requires the taxpayer to use specific appraisers and/or charities.
* Appraisals fail to take into account all facts and circumstances of the entire transaction, like the ability of the taxpayer to remove all assets from the LLC after the donation. 

*Properly claiming a donation of a closely held business interest** *

To properly claim a charitable contribution deduction for a donation of a closely held business interest, a taxpayer must keep records to show: 


* Name and address of the charitable organization that received the business interest.
* Date of the contribution.
* Detailed description of the closely held business interest. 

Additional requirements, based on the value of the claimed deduction, include the following. For donations of: 


* $250 or more, the taxpayer must obtain a contemporaneous written acknowledgement [ [link removed] ]of the contribution from the charitable organization. They need to have that document on or before the earlier of the date on which they file a return for the taxable year in which they made the contribution, or the due date, including extensions, for filing such return.
* More than $500 but not over $5,000, the taxpayer must also complete Form 8283, Noncash Charitable Contributions [ [link removed] ], Section A, and attach it to their tax return.
* More than $5,000, the taxpayer must obtain a qualified appraisal of the donated property and complete Form 8283, Section B, including the signature(s) of the qualified appraiser(s) and the charity.
* $500,000 or more, the taxpayer must do all the above and attach a complete copy of the qualified appraisal to their tax return. 

See Publication 561, Determining the Value of Donated Property [ [link removed] ], for requirements of a qualified appraisal. 

*Court decisions** *

As the IRS works to increase compliance activity involving high-income and high-wealth taxpayers as well as complex partnerships and corporations, abusive schemes with invalid or unacceptable donations of LLC units, as well as other questionable transactions, are on the agency’s radar. 

The IRS has multiple active abusive promoter investigations underway and continues to audit donations of closely held businesses. 

Examples of criminal convictions involving promoters of these schemes and their clients include: 


* Florida Attorney Sentenced to 8 years in Prison in Fraudulent Charitable Contribution Tax Scheme [ [link removed] ]
* Tax Attorneys and Insurance Agent Convicted in Tax Shelter Scheme [ [link removed] ]__
* Client of Fraudulent Tax Shelter Scheme Pleads Guilty to Obstruction [ [link removed] ] 

Example of a civil injunction prohibiting the promotion of these schemes: 


* Federal Court Shuts Down Alleged Nationwide Tax Scheme Involving Charitable LLCs and Charitable Limited Partnerships [ [link removed] ]* *

*How to report tax schemes** *

Taxpayers can report abusive tax schemes using: 


* Form 14242, Report Suspected Abusive Tax Promotions or Preparers [ [link removed] ], to report a suspected abusive tax avoidance scheme and tax return preparers who promote such schemes.
* The complaint form located at Treasury Inspector General for Tax Administration [ [link removed] ]or by calling 800-366-4484 [ tel:800-366-4484 ].* *

*More information** *


* Publication 526, Charitable Contributions  [ [link removed] ]
* Publication 561, Determining the Value of Donated Property  [ [link removed] ]
* Form 8283, Noncash Charitable Contributions  [ [link removed] ]
* Tax Topic 506, Charitable Contributions [ [link removed] ]

 

Back to Top [ #Fifteenth ]

________________________________________________________________________

FaceBook Logo [ [link removed] ]  YouTube Logo [ [link removed] ]  Instagram Logo [ [link removed] ]  Twitter Logo [ [link removed] ]  LinkedIn Logo [ [link removed] ]

________________________________________________________________________

Thank you for subscribing to the IRS Newswire, an IRS e-mail service.

If you know someone who might want to subscribe to this mailing list, please forward this message to them so they can subscribe [ [link removed] ].

This message was distributed automatically from the mailing list IRS Newswire. *Please Do Not Reply To This Message.*


________________________________________________________________________

Update your subscriptions, modify your password or email address, or stop subscriptions at any time on your Subscriber Preferences Page [ [link removed] ]. You will need your email address to log in. If you have questions or problems with the subscription service, visit subscriberhelp.govdelivery.com [ [link removed] ].

This service is provided to you at no charge by the Internal Revenue Service (IRS) [ [link removed] ].


body .abe-column-block {min-height: 5px;} ________________________________________________________________________

This email was sent to [email protected] by: Internal Revenue Service (IRS) · Internal Revenue Service · 1111 Constitution Ave. N.W. · Washington, D.C. 20535 GovDelivery logo [ [link removed] ]
body .abe-column-block { min-height: 5px; } table.gd_combo_table img {margin-left:10px; margin-right:10px;} table.gd_combo_table div.govd_image_display img, table.gd_combo_table td.gd_combo_image_cell img {margin-left:0px; margin-right:0px;}
Screenshot of the email generated on import

Message Analysis