1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – In the News
4 – Letter Ruling Update (Associate Editor Jennie Pressley)
5 – Excerpts from IRS Publication 587, Tax on Unrelated Business Income of Exempt Organizations
Focus on IRS and Treasury
EO Tax Journal 2026-135
1 – In the News
2 – Article of Interest: Who Defines Public Policy for Charitable Organizations?
3 – NY Attorney General James Sues Purported Veterans’ Charity for Defrauding Donors for Personal Gain
4 – Justice Department Finds Duke Law School Discriminates Based on Race in Admissions
5 – DOJ’s Findings re Duke Law School
EO Tax Journal 2026-134
1 – The EOTJ Mailbag
2 – Employment Opportunity
3 – In the News
4 – Getting Donor-Advised Funds Regulation Right: Closing the Public Support Test Loophole
5 – IRS Establishes Office of Conservation Easements and Transitions Settlement Process
EO Tax Journal 2026-133
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – Letter Ruling Alert
4 – Wall Street’s Nonprofits Use Selective, Opaque Logic to Defund Charities
EO Tax Journal 2026-132
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – In the News
4 – Congress’s Continuing Quest to Restrict Executive Compensation at Charitable Organizations, With a Twist
EO Tax Journal 2026-130
1 – Editor’s Notebook
2 – In the News
3 – Treasury, IRS Issue Proposed Regulations on Employer Contributions to Trump Accounts under the Working Families Tax Cuts
4 – Advising Without a Rulebook: Professional Judgment When Guidance, Enforcement, and Outcomes Diverge (Part 1)
EO Tax Journal 2026-128
1 – Editor’s Notebook
2 – Letter Ruling Alert
3 – In the News
4 – Article of Interest
5 – Comments of Council on Foundations on Section 4960
EO Tax Journal 2026-126
1 – Editor’s Notebook
2 – In the News
3 – Senate Finance Committee Pats Itself on Back
4 – Independent Sector Applauds Inclusion of Right to Participate in IRS Appeals Process
5 – Article of Interest
6 – Attorney Alex Reid Gives OIRA Advice on Entering Fundamental Public Policy Debate
EO Tax Journal 2026-120
1 – Editor’s Notebook
2 – IRS FIFA Announcement
3 – Joint Motion to Submit Guardian Case for Decision
4 – Latest Order in Guardian Case
5 – IRS Rules on Asset Transfer by Private Foundation (PLR 202630006)
EO Tax Journal 2026-116
1 – Editor’s Notebook
2 – The EOTJ Mailbag
3 – Religious Organizations and Political Activity: A 2026 Election-Year Guide
EO Tax Journal 2026-114
1 – Editor’s Notebook
2 – Turnover at IRS and Treasury Continues
3 – Latest National Religious Broadcasters Case Developments
4 – Young America’s Foundation Sues IRS to End Collection of Donor Lists
5 – Complaint of Young America’s Foundation
EO Tax Journal 2026-111
1 – Editor’s Notebook
2 – In the News
3 – Certain CRAT Transactions Now Listed Transactions
4 – Navigating Attorney General Oversight and Investigations
EO Tax Journal 2026-110
1 – Editor’s Notebook
2 – In the News
3 – Trump Accounts Create Financial Opportunity
4 – IRS EO Representatives at the 2026 IRS Nationwide Tax Forums
5 – Appellants’ Opening Brief in NRB Case
EO Tax Journal 2026-107
1 – Editor’s Notebook
2 – Chairman Jason Smith Opening Statement at Hearing on the Growing Business of Sports
3 – Ranking Member Richard Neal Opening Statement
4 – Selected Excerpts from JCT Report on Sports Hearing
5 – Treasury Announces Investment Lineup for Trump Accounts
6 – Treasury and IRS to Accept Philanthropic Stock Contributions for Trump Accounts
EO Tax Journal 2026-104
1 – Quote of the Week
2 – Editor’s Notebook
3 – Draft of Trump’s Religious Liberty Commission Report Released
4 – National Taxpayer Advocate Releases FY 2027 Objectives Report
5 – Letter Ruling Alert
6 – Rep. Carey Introduces Conservation Easement Bill
EO Tax Journal 2026-101
1 – Editor’s Notebook
2 – Latest IRS Chief Counsel Nominee
3 – In the News
4 – UBIT: Commerciality and Current Issues for Tax-Exempt Organizations
5 – Senators Kelly and Hirono Lead Bill to Repeal Federal Private School Voucher Program, Keep Public Dollars in Public Schools
EO Tax Journal 2026-100
1 – Editor’s Notebook
2 – In the News
3 – Rep. Comer Continues to Investigate Violations of Political Lobbying Restrictions by 501(c)(3) Entities
4 – Senator Rick Scott Sends Letter to IRS CEO Demanding CCP-Linked CodePink Lose Tax-Exempt Status
EO Tax Journal 2026-99
1 – Editor’s Notebook
2 – In the News
3 – IRS and Treasury Intend to Issue Proposed Opportunity Zone Regs (Notice 2026-40)
4 – State Update: What State AGs Are Thinking in 2026 (Part 2)
EO Tax Journal 2026-97
1 – Editor’s Notebook
2 – TIGTA Report on IRS Workforce Reductions
3 – Constitutional Principles Meet the Internal Revenue Code: First Amendment Issues for Tax-Exempt Organizations
EO Tax Journal 2026-94
1 – Editor’s Notebook
2 – TEGE Exempt Organizations Council Announcement
3 – Recent Hearing Focuses on Protecting College Sports
4 – Treasury Previews Education Freedom Tax Credit Guidance
5 – IRS Publishes Update to Scholarship Granting Organizations (IR-2026-76)
6 – House Democrats Seek Information from WinRed about Alleged Fraudulent Political Donations
EO Tax Journal 2026-93
1 – Editor’s Notebook
2 – Comments of New York State Bar Association on Amended Section 4968
EO Tax Journal 2026-91
1 – The EOTJ Mailbag
2 – Editor’s Notebook
3 – In the News
4 – Treasury, IRS Announce Intent to Issue Proposed Regs for Excise Tax on Excess EO Executive Comp under OBBB
5 – IRS Describes Agency’s Activities in Fiscal Year 2025 Data Book
6 – Letter Ruling Alert
7 – Notice of Intent to Issue Regulations Under Section 4960 (Notice 2026-36)
EO Tax Journal 2026-90
1 – Editor’s Notebook
2 – In the News
3 – Memorial Hermann, Loper Bright, and What Comes Next (Part 3)
4 – EO Excerpts from AICPA’s Recommendations for the 2026-2027 Priority Guidance Plan
EO Tax Journal 2026-89
1 – Editor’s Notebook
2 – In the News
3 – EO Excerpts from the March 29, 2026 Recommendations for the 2026-2027 IRS Priority Guidance Plan Submitted by the ABA Tax Section
4 – Senators Grassley and Daines Urge Treasury to Crack Down on Tax Cheats Who Abuse Conservation Easement Deductions
5 – Memorial Hermann, Loper Bright, and What Comes Next (Part 2)