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Private Letter Ruling 201236022 (09112012)
- Proskauer Rose LLP
- -
- USA
- -
- November 15 2012
In this PLR, the Internal Revenue Service ("IRS") ruled that amounts paid to charities from the residue of the decedent's estate pursuant to a settlement agreement qualified for the charitable deduction for federal estate tax purposes because the charities had an enforceable right under state law to receive a portion of the residuary estate due to the undue influence by the drafting attorney (who was also a beneficiary
Income tax deductions for charitable donations may be denied without a qualified appraisal Mohamed v. Commissioner, T.C. Memo 2012-152
- Proskauer Rose LLP
- -
- USA
- -
- September 10 2012
Obtaining a qualified appraisal is an essential requirement for claiming an income tax deduction for charitable donations of property worth more than $5,000
Last call for lifetime gifts to charities from individual retirement accounts?
- Proskauer Rose LLP
- -
- USA
- -
- December 15 2011
As we reported in earlier issues of Personal Planning Strategies, the Pension Protection Act of 2006 included a provision that permits a person aged 70 or older to direct distributions of up to $100,000 per year directly from an Individual Retirement Plan ("IRA") to charity
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- Workarea - Non-profit Organizations

- Workarea - Corporate Tax

- Firm Name - Proskauer Rose LLP

- Author - Albert W Gortz

- Jurisdiction - USA

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