Description
Efnisyfirlit
- Cover
- Title Page
- Preface
- PART ONE: Starting a Nonprofit Organization
- CHAPTER ONE: What Is a Nonprofit Organization?
- A BIT OF PHILOSOPHY
- LEGAL DEFINITION OF NONPROFIT ORGANIZATION
- LEGAL FORM
- THE FOUR I’S
- CORPORATION
- TRUST
- UNINCORPORATED ASSOCIATION
- LIMITED LIABILITY COMPANY
- HYBRIDS
- LOCATION
- CHAPTER TWO: The Nonprofit Organizations’ Regulatory Scene
- BASIC ROLE OF THE IRS
- RELEVANT ORGANIZATION OF IRS
- TREASURY/IRS REGULATORY GUIDANCE
- TWO IMPORTANT LAW DOCUMENTS
- IRS APPLICATIONS PROCESSING SCANDAL/BROUHAHA
- CHAPTER THREE: Starting a Nonprofit Organization
- AN ILLUSTRATION: A NEW ORGANIZATION
- AN INITIAL CHECKLIST
- BOARD OF DIRECTORS
- OFFICERS
- ORGANIZATIONAL MINUTES
- GOVERNANCE POLICIES
- IDENTIFICATION NUMBER
- PART TWO: Being Nonprofit, Legally
- CHAPTER FOUR: Nonprofit Organizations: Much More Than Charity
- CHARITABLE ORGANIZATIONS
- EDUCATIONAL ORGANIZATIONS
- RELIGIOUS ORGANIZATIONS
- SCIENTIFIC ORGANIZATIONS
- OTHER CHARITABLE ORGANIZATIONS
- ONGOING CONTROVERSIES
- SOCIAL WELFARE ORGANIZATIONS
- BUSINESS LEAGUES
- CHAMBERS OF COMMERCE
- SOCIAL CLUBS
- LABOR ORGANIZATIONS
- AGRICULTURAL ORGANIZATIONS
- HORTICULTURAL ORGANIZATIONS
- U.S. INSTRUMENTALITIES
- SINGLE‐PARENT TITLE‐HOLDING CORPORATIONS
- MULTI‐PARENT TITLE‐HOLDING ORGANIZATIONS
- LOCAL EMPLOYEES’ ASSOCIATIONS
- FRATERNAL BENEFICIARY SOCIETIES
- DOMESTIC FRATERNAL SOCIETIES
- VOLUNTARY EMPLOYEES’ BENEFICIARY ASSOCIATIONS
- SUPPLEMENTAL UNEMPLOYMENT BENEFIT TRUSTS
- BLACK LUNG BENEFITS TRUSTS
- MULTI‐EMPLOYER PENSION PLAN TRUSTS
- BENEVOLENT OR MUTUAL ORGANIZATIONS
- CEMETERY COMPANIES
- CREDIT UNIONS
- MUTUAL INSURANCE COMPANIES
- CROP OPERATIONS FINANCE CORPORATIONS
- VETERANS’ ORGANIZATIONS
- FARMERS’ COOPERATIVES
- SHIPOWNERS’ PROTECTION AND INDEMNITY ASSOCIATIONS
- POLITICAL ORGANIZATIONS
- HOMEOWNERS’ ASSOCIATIONS
- PREPAID TUITION PROGRAMS
- ABLE PROGRAMS
- QUALIFIED HEALTH INSURANCE ISSUERS
- OTHER TAX‐EXEMPT ORGANIZATIONS
- CHAPTER FIVE: Nonprofits and Private Benefit
- PRIVATE INUREMENT
- PRIVATE BENEFIT
- INTERMEDIATE SANCTIONS
- A TRAP: AUTOMATIC EXCESS BENEFIT TRANSACTIONS
- INUREMENT AND INTERMEDIATE SANCTIONS
- APPEARANCES
- CHAPTER SIX: From Nonprofit to Tax‐Exempt
- RECOGNITION OF TAX‐EXEMPT STATUS
- RECOGNITION OF PUBLIC CHARITY, FOUNDATION STATUS
- APPLICATION PROCEDURE
- APPLICATION FORM
- STREAMLINED APPLICATION
- NOTICE FILINGS
- SELF‐DECLARERS
- CONSTITUTIONAL LAW PERSPECTIVE
- GROUP EXEMPTION
- EXEMPTIONS FROM FILING
- CHAPTER SEVEN: Charities: Public or Private?
- WHAT IS A PRIVATE FOUNDATION?
- AVOIDING PRIVATE FOUNDATION STATUS
- ADDITIONAL OPTIONS
- FACING THE INEVITABLE
- ONEROUS RULES
- TAXES
- CONCLUSION
- CHAPTER EIGHT: Nonprofit Governance
- CONCEPT OF NONPROFIT GOVERNANCE
- STATE LAW AND GOVERNANCE
- NONPROFIT GOVERNANCE PRINCIPLES
- PERSPECTIVES
- EMERGING CONCEPTS
- FEDERAL LAW AS TO GOVERNANCE
- IRS AND GOVERNANCE
- CURRENT VIEW OF IRS
- FEDERAL COURT OPINIONS
- REDESIGNED ANNUAL INFORMATION RETURN
- IRS RULING POLICY
- QUESTIONABLE IRS JURISDICTION
- BOARD MEMBER RESPONSIBILITIES
- LAWSUITS AGAINST NONPROFIT ORGANIZATIONS
- DEFENDING AGAINST LAWSUITS
- INDIVIDUALS AS DEFENDANTS
- CHAPTER NINE: Braving Annual Reporting
- INFORMATION RETURN BASICS
- IRS GUIDING PRINCIPLES
- SUMMARY OF ANNUAL INFORMATION RETURN
- SEQUENCING GUIDELINES
- PRIVATE FOUNDATION REPORTING
- EXCEPTIONS
- E‐POSTCARD RULES
- PENALTIES
- ELECTRONIC FILING RULES
- FILING REQUIREMENTS AND TAX‐EXEMPT STATUS
- CHAPTER TEN: Tax Exemption: Not a Paperwork Exemption
- GENERAL DISCLOSURE REQUIREMENTS
- POLITICAL ORGANIZATIONS
- UNRELATED INCOME TAX RETURNS
- MATERIAL CHANGES
- CHANGES IN FORM
- NONCASH GIFTS DISCLOSURE
- INFORMATION OR SERVICES DISCLOSURE
- IRS DISCLOSURE TO STATES
- STATE ANNUAL REPORTS
- CHARITABLE SOLICITATION ACTS
- OTHER REPORTING
- FEDERAL RECORDKEEPING RULES
- CHAPTER ELEVEN: Charitable Giving Rules
- TYPES OF CHARITABLE GIVING
- ACTUAL PRACTICE
- WHEN IS A GIFT A GIFT?
- QUALIFIED DONEES
- GIFT PROPERTIES
- PERCENTAGE LIMITATIONS
- DEDUCTION REDUCTION RULES
- TWICE BASIS DEDUCTIONS
- EASEMENTS AND OTHER CONSERVATION PROPERTY
- OTHER GIFT PROPERTIES
- BARGAIN SALES
- PARTIAL INTEREST GIFTS
- GIFTS OF OR USING INSURANCE
- APPRAISAL RULES
- RECORD‐KEEPING RULES
- GIFT SUBSTANTIATION RULES
- QUID PRO QUO CONTRIBUTIONS
- REPORTING RULES
- BUSINESS EXPENSE OR CHARITABLE DEDUCTION?
- CHAPTER TWELVE: Government Regulation of Fundraising
- FUNDRAISING DEFINED
- THIS MATTER OF FUNDRAISING COSTS
- STATE REGULATION OF FUNDRAISING
- SANCTIONS
- STATES’ POLICE POWER
- FEDERAL REGULATION OF FUNDRAISING
- CORPORATE SPONSORSHIPS
- FUNDRAISING BY MEANS OF INTERNET
- PART THREE: Tax‐Exempt Organizations Can Be Taxable, and So Can Their Managers
- CHAPTER THIRTEEN: Related or Unrelated?
- TAXES
- UNRELATED INCOME RULES
- CONCLUSION
- CHAPTER FOURTEEN: Lobbying Constraints—And Taxes
- LOBBYING RESTRICTIONS ON CHARITABLE ORGANIZATIONS
- LOBBYING RESTRICTIONS ON OTHER NONPROFIT ORGANIZATIONS
- NONTAX RULES
- CHAPTER FIFTEEN: Political Campaign Activities—And More Taxes
- POLITICAL ACTIVITIES BY CHARITABLE ORGANIZATIONS
- POLITICAL ACTION COMMITTEES
- POLITICAL ACTIVITIES BY OTHER NONPROFIT ORGANIZATIONS
- ADVOCACY COMMUNICATIONS
- CHAPTER SIXTEEN: Donor‐Advised Funds, Tax Shelters, Insurance Schemes—And Still More Taxes
- DONOR‐ADVISED FUNDS
- STUDIES
- TAX SHELTERS
- INSURANCE SCHEMES
- PART FOUR: Helpful Hints and Successful Techniques
- CHAPTER SEVENTEEN: For‐Profit and Nonprofit Subsidiaries
- ESTABLISHING A FOR‐PROFIT SUBSIDIARY
- STRUCTURAL CONSIDERATIONS
- FINANCIAL CONSIDERATIONS
- SHARING OF RESOURCES
- EXCESS ASSET ACCUMULATIONS
- LIQUIDATIONS
- TREATMENT OF REVENUE FROM SUBSIDIARY
- SUBSIDIARIES IN PARTNERSHIPS
- TITLE‐HOLDING CORPORATIONS
- SUPPORTING ORGANIZATIONS
- OTHER NONPROFIT SUBSIDIARIES
- CHAPTER EIGHTEEN: Joint Venturing and Other Partnering
- JOINT VENTURE LAW BASICS
- REAL ESTATE ACQUISITIONS
- PARTNERSHIPS LAW BASICS
- TAX EXEMPTION ISSUE
- LIMITED LIABILITY COMPANIES LAW BASICS
- MULTI‐MEMBER LLCS
- WHOLE‐ENTITY JOINT VENTURES
- ANCILLARY JOINT VENTURES
- ACCOUNTABLE CARE ORGANIZATIONS
- SINGLE‐MEMBER LLCS
- AGGREGATE PRINCIPLE
- LAW‐IMPOSED JOINT VENTURES
- OTHER FORMS OF “PARTNERING”
- INFORMATION REPORTING
- CHAPTER NINETEEN: Wonderful World of Planned Giving
- APPRECIATED PROPERTY GIFTS—A REPRISE
- PLANNED GIFTS—AN INTRODUCTION
- CHARITABLE REMAINDER TRUSTS
- TAX TREATMENT OF DISTRIBUTIONS
- CALCULATION OF CRT CHARITABLE DEDUCTION
- WEALTH REPLACEMENT TRUSTS
- TAXATION OF REMAINDER TRUSTS
- ENTER THE QUALIFIED CONTINGENCY
- POOLED INCOME FUNDS
- CHARITABLE LEAD TRUSTS
- CHARITABLE GIFT ANNUITIES
- LIFE INSURANCE
- CHARITABLE PLANS
- STARTING A PROGRAM
- CHAPTER TWENTY: Putting Ideas into Action
- JOINT VENTURES
- PARTNERSHIPS
- PLANNED GIVING
- FINDING THE BEST BLEND
- PART FIVE: Sidestepping Traps
- CHAPTER TWENTY-ONE: Watchdogs on the Prowl
- WATCHDOG GROUPS: AN OVERVIEW
- ISSUES ADDRESSED BY WATCHDOGS
- WATCHDOG STANDARDS AND CHARITIES’ RIGHTS
- WATCHDOGS: A CLOSING PERSPECTIVE
- CHAPTER TWENTY-TWO: Potpourri of Policies and Procedures
- SOURCES OF POLICIES
- POLICIES OVERVIEW
- POLICIES FOR TYPICAL NONPROFIT
- CHAPTER TWENTY-THREE: Commerciality, Competition, Commensurateness
- COMMERCIALITY DOCTRINE
- COMPETITION
- COMMENSURATE TEST
- COMMERCIALITY AND COMMENSURATENESS BLENDED: FUNDRAISING
- CHAPTER TWENTY-FOUR: IRS Audits of Nonprofit Organizations
- ORGANIZATION OF IRS
- REASONS FOR IRS AUDITS
- IRS AUDIT ISSUES
- TYPES OF IRS EXAMINATIONS
- COMPLIANCE CHECKS
- HARDENING THE TARGET
- WINNING THE AUDIT LOTTERY
- COPING WITH EXAMINERS
- TOURS
- IRS AUDIT PROCESS
- CLOSING AGREEMENTS
- APPEALS PROCESS
- RETROACTIVE REVOCATIONS
- CHURCH AUDIT RULES
- LITIGATION
- CHAPTER TWENTY-FIVE: Avoiding Personal Liability
- AVOIDING PERSONAL LIABILITY
- PROTECT AGAINST PERSONAL LIABILITY
- PART SIX: Constitutional Law Perspective
- CHAPTER TWENTY-SIX: Nonprofit Organizations and the Constitution
- CONSTITUTIONAL LAW BACKGROUND
- DEFINITION OF NONPROFIT ORGANIZATION
- ELIGIBILITY FOR TAX EXEMPTION
- RATIONALE FOR TAX EXEMPTION
- PUBLIC POLICY DOCTRINE
- FREEDOM OF ASSOCIATION PRINCIPLE
- RELIGION CLAUSES
- CONSTITUTIONALITY OF IRC PROVISIONS
- STATE ACTION DOCTRINE
- CORPORATE INDEPENDENT POLITICAL EXPENDITURES
- MINISTERIAL EXCEPTION
- TAX EXEMPTION AS GOVERNMENT SUBSIDY
- HEALTH CARE LAW REVISION
- OTHER PRONOUNCEMENTS
- JUDICIAL DEFERENCE AND TAX REGULATIONS
- Glossary
- Index
- End User License Agreement
Reviews
There are no reviews yet.