Archive for ‘The EOTJ Mailbag’
EO Tax Journal 2019-48
1 – The EOTJ Mailbag
2 – Current & Quotable
3 – Request that Grant Be Classified as an Unusual Grant under Sections 1.170A-9(f)(6)(ii) and 1.509(a)-3(c)(4) Denied (PLR 201850023)
4 – Social Club’s Exemption Revoked (Revocation 201906009)
5 – Five Democratic Senators Urge IRS Efforts Against Money Laundering and Financial Crimes Continue…
EO Tax Journal 2019-46
1 – The EOTJ Mailbag
2 – In the News
3 – TE/GE Looking for a Few Good Men and Women
4 – ALI Program: Maximizing Nonprofit Impact: 501(c)(3) and 501(c)(4) Affiliations
5 – Religious Leaders Seek Repeal of Section 512(a)(7)
6 – Organization Revoked for Failure to Substantiate Any Exempt Activities (Revocation 201905008) Continue…
EO Tax Journal 2019-44
1 – The EOTJ Mailbag
2 – Webinar: Tax Reform Impact on Employee Benefits of Tax-Exempt Organizations
3 – Article: This Is Our House! – The Tax Man Comes to College Sports
4 – Serving the Private Interests of Its Members Results in Denial of (c)(3) Status (Denial 201904015) Continue…
EO Tax Journal 2019-41
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – In the News
4 – Grant from a Private Foundation to a Supporting Organization to Support a Global Religion Journalism Project Will Constitute a Qualifying Distribution under § 4942(g)(1)(A) and Will Not Be a Taxable Expenditure under §§ 4945(d)(4) or (5) (PLR 201851003)
5 – Illinois Court Denies Property Tax Exemption to Hospice Care Center (Midwest Palliative Hospice and Care Center v. Beard) Continue…
EO Tax Journal 2019-40
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – California Legislators May Attempt to Require Minimum Annual Distributions from DAFs
4 – Ellen Aprill On Liberal Suppression: Viewing Section 501(c)(3)’s Speech Restrictions In Their Tax Context
5 – IRS Rules Tax-Exempt Religious Residential Community Is a Religious Order per Rev. Proc. 91-20 and Its Members’ Subsistence Payments Are Not Wages Nor Subject to FICA and FUTA Tax (PLR 201904008) Continue…