Does the expanded tax incentive apply to bargain sales of land?
The new incentive does apply to bargain sales of conservation easements that qualify under IRC 170(h). It will not apply to donations of land in fee, or to bargain sales of fee title to land. In order for a landowner selling a conservation easement in a bargain sale to qualify as a “farmer or rancher” they may need to consider an installment sale. The income received from the sale of the conservation easement probably will not be viewed as “income from the trade or business of farming” by the IRS, and this income could disqualify them. However, to be qualified as a farmer or rancher the IRS only needs to qualify the donor’s income in the year of the donation, a farmer could arrange an installment sale that would provide him little sale income in that year, but provide the balance to him in the next year, which could allow him to qualify for the 100% deduction.