(6) In consideration for. A donee organization provides goods or services in consideration for a taxpayer's payment if, at the time the taxpayer makes the payment to the donee organization, the taxpayer receives or expects to receive goods or services in exchange for that payment. * * *Section 1.170A-13(f)(6), Income Tax Regs., is in keeping with the traditional view that a charitable contribution is one for which the donor has "'no expectation of any quid pro quo'". Hernandez v. Commissioner, 490 U.S. 680, 690 (1989) (quoting S. Rept. 1622, 83d Cong., 2d Sess. 196 (1954); H. Rept. 1337, 83d Cong., 2d Sess. A44 (1954) (the legislative history defines a.- 12 -gift as a payment "made with no expectation of a financial return commensurate with the amount of the gift")); see also United States v. Am. Bar Endowment, 477 U.S. 105, 116, 118 (1985) ("The sine qua non of a charitable contribution is a transfer of money or property without adequate consideration.").
(A) General rule.--No deduction shall be allowed under subsection (a) for any contribution of $250 or more unless the taxpayer substantiates the contribution by a contemporaneous written acknowledgment of the contribution by the donee organization that meets the requirements of subparagraph (B).8 Goods or services include cash, property, services, benefits, and privileges. Sec. 1.170A-13(f)(5), Income Tax Regs.
(B) Content of acknowledgment.--An acknowledgment meets the requirements of this subparagraph if it includes the following information:(i) The amount of cash and a description (but not value) of any property other than cash contributed.
(ii) Whether the donee organization provided any goods or services in consideration, in whole or in part, for any property described in clause (i).
(iii) A description and good faith estimate of the value of any goods or services referred to in clause (ii) * * *.
Michael T. Caricci, et ux., et al v. Commissioner
Private Foundation Merger Guidelines In Rev. Rul. 2002-28
Unitrust "Special Needs Trust" Permitted In Rev. Rul. 2002-20
John C. Todd, et ux. v. Commissioner; 118 T.C. No. 19; No. 17046-99
Christine M. Hackl, et vir v. Commissioner; 118 T.C. No. 14; No. 6921-00; No. 6922-00