On September 9, 2008, the IRS
issued
temporary Income Tax Regulations, which eliminate the
advance ruling process for a section 501(c)(3) organization.
Under the new regulations, a new 501(c)(3) organization will be
classified as a
publicly supported charity, and not a private foundation, if
it can show that it reasonably can be expected to be publicly
supported when it applies for tax-exempt status.
Under the old regulations, an
organization that wanted to be recognized by the IRS as a
publicly supported charity instead of a private foundation had
to go through an extended two-step process. First, the
organization had to declare that it expected to be publicly
supported on an on-going basis. Then, after five years, it had
to file Form
8734, Support Schedule for Advance Ruling Period,
showing the IRS that it actually met the public support test. If
it didn't meet the test, it was designated a tax-exempt private
foundation and would be
subject to stricter rules.
The new rules no longer require
the organization to file Form 8734 after completing its first
five tax years. Moreover, the organization retains its public
charity status for its first five years regardless of the public
support actually received during that time. Instead, beginning
with the organization's sixth taxable year, it must establish
that it meets the public support test by showing that it is
publicly supported on its
Schedule A to Form 990, Return of Organization Exempt From
Income Tax.
Transition rules apply to organizations that have previously
received advance rulings.
DISCLAIMER: This information is not intended
to provide legal or accounting advice, or to address specific situations. Please
consult with your legal or tax advisor to supplement and verify what you learn
here.
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