The Law of Tax-Exempt Organizations, 2021 Cumulative Supplement. Bruce R. Hopkins
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12 108.9 Reg. § 53.4968‐2(b)(1).
13 108.10 Reg. § 53.4968‐2(b)(2).
14 108.11 Reg. § 53.4968‐2(d).
15 108.12 IRC § 4968(d)(2); Reg. § 53.4968‐3(a)(1).
16 108.13 Reg. § 53.4968‐3(a)(2).
17 108.14 Id.
18 108.15 Id.
19 108.16 See §§ 29.7, 30.6.
20 108.17 Reg. § 53.4968‐3(b)(1)‐(3).
21 108.18 Reg. § 53.4968‐3(b)(1).
22 108.19 Reg. § 53.4968‐3(b)(2)(i).
23 108.20 Reg. § 53.4968‐3(b)(3).
24 108.21 Reg. § 53.4968‐3(b)(2)(ii)(A).
25 108.22 Reg. § 53.4968‐3(b)(2)(iii).
26 108.23 Reg. § 53.4968‐3(a)(3).
27 108.24 Reg. § 53.4968‐3(d)(1).
28 108.25 IRC § 4968(d)(1)(A); Reg. § 53.4968‐3(d)(2)(i).
29 108.26 IRC § 4968(d)(1)(B); Reg. § 4968‐3(d)(2)(ii).
CHAPTER TWELVE Public Charities and Private Foundations
§ 12.1 Federal Tax Law Definition of Private Foundation (a) Private Foundation Defined
§ 12.3 Categories of Public Charities (b) Publicly Supported Charities (c) Supporting Organizations
§ 12.4 Private Foundation Rules (f) Other Provisions
§ 12.1 FEDERAL TAX LAW DEFINITION OF PRIVATE FOUNDATION
(a) Private Foundation Defined
p. 286, note 7. Insert before last period:
; Rev. Proc. 2020‐5, 2020‐1 I.R.B. 241, § 7.03.
§ 12.3 CATEGORIES OF PUBLIC CHARITIES
(b) Publicly Supported Charities
p. 300. Insert as second complete paragraph:
A tax‐exempt charitable organization with more than one unrelated business may aggregate its net income and net losses from all unrelated business activities for purposes of determining whether the organization is publicly supported under these rules.155.1 That is, the bucketing rule155.2 does not apply in this context. Nonetheless, organizations have the option of determining public support using their unrelated business taxable income calculated under the bucketing rule or in the aggregate.
p. 304. Insert as second complete paragraph:
A tax‐exempt charitable organization with more than one unrelated business may aggregate its net income and net losses from all unrelated business activities for purposes of determining whether the organization is publicly supported under these rules.185.1 That is, the bucketing rule185.2 does not apply in this context. Nonetheless, organizations have the option of determining public support using their unrelated business taxable income calculated under the bucketing rule or in the aggregate.
p. 302, note 167. Delete last sentence and insert:
Illustrations of organizations satisfying these requirements are the subject of Priv. Ltr. Ruls. 201936002, 201936003, and 201307008.
(c) Supporting Organizations
p. 305, note 193, first line. Insert following second period:
Supported organizations are the subject of IRC § 509(f)(3).
p. 309, note 234, first paragraph. Insert as last sentence:
An illustration of a situation where a tax‐exempt business league should have placed its substantial charitable and educational activities in a separate organization, such as a supporting organization, is provided in Priv. Ltr. Rul. 202017035.
p. 309, note 234, fourth paragraph, last line. Delete citation and insert:
F. Supp. 3d 949 (W.D. Wis. 2017).
p. 309, note 234, fourth paragraph. Insert as last sentences:
In a subsequent decision, this court held that the trustees of the supporting organization repeatedly breached fiduciary duties to the supported organization, to the end that the fees and costs owed to the supported organization must be paid by the trustees of the supporting organization personally,