| United States. Internal Revenue Service - 1975 - 652 pages
...Status 26 CFR 1.507-2: Special rules; transfer to, or operation as, public charity. Rev. Rul. 75-289 A private foundation as defined in section 509(a) of the Internal Revenue Code of 1954 distributed all of its net assets to an organization, described in section 170(b) (1) (A)(vi) of the... | |
| United States. Internal Revenue Service - 1976 - 624 pages
...or business for which substantially all the work is performed without compensation. Rev. Rul. 76-85 A private foundation, as defined in section 509(a) of the Internal Revenue Code of 1954, carries on a trade or business the conduct of which is not substantially related to the exercise or... | |
| United States. Congress. House. Committee on the District of Columbia - 1972 - 1722 pages
...follow immediately after Section 444 thereof and to be under the new subtitle "Charitable CoFDorotiono," "PRIVATE FOUNDATIONS," to regulate the activities...distributions, all as defined and provided by Sections 4941(d), 4943(c), 4944, 4945(d) and 4942(a), respectively, of the Internal Revenue Code of 1954. SECTION... | |
| United States. Congress. House. Committee on the District of Columbia - 1972 - 62 pages
...immediately after Section 444 thereof and to be under the new subtitle -'Charitable Corporationo," "PRIVATE FOUNDATIONS," to regulate the activities...which is a private foundation as defined in Section 509 (a) of the Internal Revenue Code of 1954 by prohibiting self-dealing, retention of excess business... | |
| United States. Congress. House. Committee on Ways and Means - 1973 - 344 pages
...Washington, DC, stated that The Colorado Masons' Benevolent Fund Association had been classified as a private foundation as defined in Section 509(a) of the Internal Revenue Code, aud as an operating private foundation as defined in Section 4942 (j) (3). This meant that the Funds... | |
| Jane Wilder Jacqz - 1977 - 88 pages
...Department of the Treasury has classified The African-American Institute as "an organization that is not a private foundation as defined in section 509(a) of the Internal Revenue Code." AAI is tax exempt under Section 501 (c)3 of the Code, and contributions are deductible for income tax... | |
| Jane Wilder Jacqz - 1978 - 48 pages
...Department of the Treasury has classified The African-American Institute as "an organization that is not a private foundation as defined in Section 509(a) of the Internal Revenue Code." AAI is tax exempt under Section 501 (c)3 of the Code, and contributions are deductible for income tax... | |
| United States. Congress. Senate. Select Committee on Indian Affairs - 1978 - 288 pages
...and contributions to NARF are tax deductible. The Internal Revenue Service has ruled that NARF is not a "private foundation" as defined in Section 509<a} of the Internal Revenue Code. Contribution* to NARF The work of the Native American Rights Fund is supported solely by grants from... | |
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