This case, Green Valley Investors, LLC v. Commissioner, T.C. Memo. 2025-15, involves a consolidated proceeding of four related cases concerning noncash charitable contribution deductions claimed by four partnerships for tax years 2014 and 2015. The partnerships in these cases are Green Valley Investors, LLC (Green Valley), Big Hill Partners, LLC (Big Hill), Tick Creek Holdings, LLC (Tick Creek), and Vista Hill Investments, LLC (Vista Hill). Bobby A. Branch served as the tax matters partner for each of the partnerships. The partnerships had each claimed charitable contribution deductions for the donation of conservation easements totaling approximately $90 million. The Internal Revenue Service (IRS) disallowed the deductions, asserting that the conservation easement deeds did not comply with the requirements of section 170 of the Internal Revenue Code (IRC), and also assessed accuracy-related penalties.
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