Editor’s Notebook
Month: April 2016
EO Tax Journal 2016-83
1 – Editor’s Notebook
2 – Leave Credit Unions Alone
3 – Section 501(c)(6) Status of Organization Revoked Based on Performance of Particular Services for Members (Revocation 201617010)
4 – Business Trust Fails to Qualify for (c)(3) Status Based on Numerous Reasons (Denial 201617011)
EO Tax Journal 2016-81
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – Pulpit Politicking?
4 – IRS Denies (c)(4) Applicant for Being Primarily Engaged in Activities Intended to Intervene in the Political Process (Denial 201615014)
5 – Umpires Called Out Again (Denial 201617012)
EO Tax Journal 2016-80
1 – Does Demonizing the IRS Serve the National Interest?
2 – Missing in Action
3 – Charitable Organizations and Marijuana?
4 – Human Rights Activists Call On IRS To Investigate Jewish National Fund Charitable Status
5 – How the IRS Lets Nonprofits Turn Political
6 – APF Secures Permanent Injunction in District Court
EO Tax Journal 2016-79
1 – The EOTJ Mailbag
2 – Precedential Value of Preambles to Regulations
3 – The Impact of King v. Burwell on Judicial Deference to IRS Determinations
4 – Final PRI Regs Released
EO Tax Journal 2016-78
1 – Michigan Foundations Seek Shared Determination Letter for PRIs and Expedited Review Process
2 – Lawless IRS Must Be Reined in, Tea Party Advocate Tells Congress
3 – Group Seeks IRS Investigation of CREW
EO Tax Journal 2016-76
1 – The EOTJ Mailbag
2 – Friday’s Funeral Service
3 – Excess of Private Benefit Causes IRS to Deny Accountable Care Organization’s Exemption Application (Denial 201615022)
4 – Private Benefit/Inurement Found in Applicant’s Support of For-Profit Dance Company (Denial 201615016)
EO Tax Journal 2016-75
1 – Better the Devil You Know?
2 – Little Likelihood of IRS Getting Fair Review after Judge’s Remark
3 – Tax Day Reading — Read and Weep (Unless You’re in the Top 0.1%)
4 – During Tax Week, Ways and Means Moves Bills to Protect American Taxpayers and Hold IRS Accountable
5 – Bipartisan House Bills Aim to Grow Charitable Giving
6 – Laura Solomon and Associates Announce Nine Nonprofit Educational and Networking Events
EO Tax Journal 2016-74
1 – Funeral Arrangements for Jack Reilly
2 – The EOTJ Mailbag
3 – Former IRS Official Sees Dark Money Scandal Brewing
4 – Crusade against IRS Employees for ‘Unconstitutional Treatment’ of Tea Parties Continues Today in D.C. Circuit Court
EO Tax Journal 2016-73
1 – The EOTJ Mailbag
2 – Ways and Means Markup Today on Legislation to Hold the IRS More Accountable
3 – NYSBA Seeks Clarifying Regs under New Section 506 to Limit Coverage
EO Tax Journal 2016-72
1 – RIP, John Francis (“Jack”) Reilly
2 – Washington Post Takes Critical Look at Trump’s ‘Donations’
3 – Phil Hackney Takes Conservative Reporters to Task for ‘Deliberate Falsehoods’
4 – FFRF Renews ‘David vs. Goliath’ IRS Challenge
5 – The Impact of Charity and Tax Law and Regulation on Not-for-Profit News Organizations
EO Tax Journal 2016-71
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – ADF Asks Federal Court to Tell IRS to Come Clean on Secret Rules for Investigating Churches
4 – Recording Now Available of “UBIT: What Your Nonprofit Needs to Know about Sponsorships, Advertising, Royalties, and Cause Marketing”
5 – Dartmouth’s Response to Congressional Endowment Inquiry
EO Tax Journal 2016-70
1 – The EOTJ Mailbag
2 – Thune, Wyden Introduce Bill to Encourage Year-Round Charitable Giving
3 – Senate Legislation Aims to Expand Charitable Giving, Urges Protection of Charitable Deduction
4 – MIT’s Response to Congressional Endowment Inquiry
EO Tax Journal 2016-69
1 – Merle Haggard, 1937-2016
2 – EO Topics Discussed in Massachusetts
3 – Harvard’s Response to Congressional Endowment Inquiry
EO Tax Journal 2016-68
1 – Foundation Source Seeks Private Foundation Guidance
2 – IRS Denies (c)(3) Applicant for Serving Private Interests of Its Members (Denial 201614038)
3 – Princeton’s Response to Congressional Endowment Inquiry
EO Tax Journal 2016-67
1 – EO Programs This Month
2 – Mission Accomplished
3 – Challenges in Interpreting and Complying with the Final Regulations under Section 501(r) (Part 2)
EO Tax Journal 2016-66
1 – The EOTJ Mailbag
2 – Latest Lloyd Mayer Article
3 – Challenges in Interpreting and Complying with the Final Regulations under Section 501(r) (Part 1)
EO Tax Journal 2016-65
Trump Wants Sunita Lough Fired