January/2010

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Greetings!   
 
     For those who made or are thinking about making contributions to the relief effort in Haiti, an additional benefit was provided in legislation signed last Friday by President Obama that allows taxpayers to deduct those contributions on their 2009 tax returns. See below for further details.
 
We Get It. . . 
Bill Accelerates Tax Benefits for Charitable Contributions for Haiti Relief. p
   
     The new law permits taxpayers to treat charitable contributions of cash made after January 11, 2010, and before March 1, 2010, as contributions made on December 31, 2009, if such contributions were for the purpose of providing relief to victims in areas affected by the earthquake in Haiti that occurred on January 12, 2010. Thus, the effect of the provision is to give calendar-year taxpayers who make Haitian earthquake-related charitable contributions of cash after January 11, 2010, and before March 1, 2010, the opportunity to accelerate their tax benefit. Under the provision, such taxpayers may realize the tax benefit of such contributions by taking a deduction on their 2009 tax return.

Recordkeeping Requirement

The provision also clarifies the recordkeeping requirement for monetary contributions eligible for the accelerated income tax benefits described above. With respect to such contributions, a telephone bill will also satisfy the recordkeeping requirement if it shows the name of the done organization, the date of the contribution, and the amount of the contribution. Thus, for example, in the case of a charitable contribution made by text message and chargeable to a telephone or wireless account, a bill from the telecommunications company containing the relevant information will satisfy the recordkeeping requirement.

Remember...

The charity must be IRS approved, and you must itemize to claim the deduction. Also, the 2009 deduction is discretionary, it may be better to take the deduction on your 2010 return.
If you have any questions about the new law or any other tax matters please call or e-mail us.
  
 




 
Issue: 3
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Sincerely,
Purk & Associates