901 South Broadway Limited Partnership v. Commissioner T.C. Memo. 2021-132
On November 23, 2021, the Tax Court issued a Memorandum Opinion in the case of 901 South Broadway Limited Partnership v. Commissioner (T.C. Memo. 2021-132). The primary issue presented in 901 South Broadway Limited Partnership was whether a partnership’s gift to a qualified organization satisfied the requirement of IRC § 170(h)(5)(A) that the gift’s conservation purposes must be protected in perpetuity. Held: DO NOT GET CREATIVE WITH CONSERVATION EASEMENTS!!! Background to 901 South Broadway Limited Partnership v. Commissioner The petitioner, 901 South Broadway Limited Partnership, contributed a facade easement on a building at 901 South Broadway Avenue, Los Angeles, California to the Los Angeles Conservancy. When the petitioner granted the easement to the Conservancy, the underlying property was subject to five deeds of trust securing loans made to the partnership. The lenders to which the petitioner was indebted (and for which loans the building served as collateral) were the beneficiaries…



