Charitable Gift Annuity - Two Lives

Prepared for: Donor name

A. Input Assumptions
Date of transfer September 8, 2010
Fair market value of property transferred $100,000.00
Nearest age on the date of the gift for Beneficiary 1 is 83
Nearest age on the date of the gift for Beneficiary 2 is 78
Date of first payment September 30, 2010
Annual annuity rate for immediate annuity 6.3%
Payment frequency Quarterly
Prorate first payment or Full first payment? Prorate
Is payment at the beginning or end of the payment period? End
IRC Sec. 7520(a) election to use 7/2010 discount rate of 2.8%
The mortality table is based on the census taken in year 2000
B. Present Value of Remainder Interest - Immediate
1. Net fair market value paid for annuity $100,000.00
2. Annual annuity rate 6.3%
3. Annuity amount payable on an annual basis $6,300.00
4. Factor for present worth of a single life annuity (based on table S) 9.4046
5. Adjustment factor based on payment frequency from Pub. 1457, Table K 1.0104
6. Adjusted value of $1.00 (Line 4 * Line 5) 9.5024
7. Adjusted annuity value (Line 3 * Line 6) $59,865.12
8. Excess of actual 1st payment over pro rata 1st payment
(0 for pro rata first payment)

$0.00
9. Present value of annuity (Line 7 + Line 8) $59,865.12
10. Minimum value of annuity (lesser of line 1 and line 9) $59,865.12
11. Present value of remainder interest (Line 1 - Line 10) $40,134.88

Depending on the type of asset you contribute, a portion of your payment may be taxable to you as a combination of ordinary income, long-term capital gain, and a tax-free return of principal. This report has been calculated assuming a contribution of cash. Each of your next 12.6 years payments of $6,300.00 will contain $4,751.20 of tax-free income and $1,548.80 of ordinary income. All income will be ordinary after 12.6 years.

NOTE: This calculation is provided for educational purposes only. The type of assets transferred, the actual date of the gift, and other factors may have a material effect on the amount or use of your deduction. You are advised to seek the advice of your tax advisors before implementing a gift of this type.

Copyright (c) 2010 The Sharpe Group, Inc. and PhilanthroTec, Inc.