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Results: 1-10 of 29
Increasing the chances of receiving new markets tax credit financing
- Edwards Wildman Palmer LLP
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- USA
- -
- October 5 2009
Next month, the Community Development Financial Institutions Fund ("CDFI Fund"), a division of the Treasury Department, will award $5 billion of new markets tax credits ("NMTC Allocations") to community development entities ("CDEs"), the vast majority of which are financial institutions, non-profits and governmentally-related entities
Lobbying for nonprofit organizations - tracking political activities under the Tax Code and the Lobbying Disclosure Act
- Venable LLP
- -
- USA
- -
- July 31 2009
Nonprofit organizations conducting federal lobbying are subject to two separate definitions of lobbying
Lobbying for 501(c)(3) organizations - tracking political activities under the Tax Code and the Lobbying Disclosure Act
- Venable LLP
- -
- USA
- -
- July 31 2009
501(c)(3) organizations that engage in federal lobbying are subject to at least two separate legal definitions of lobbying in order to comply with applicable federal tax and disclosure laws
New guidance regarding the grantmaking activities of public charities electing under Code Section 501(h)
- Faegre Baker Daniels
- -
- USA
- -
- February 4 2010
In late 2009, the IRS issued a private letter ruling (a "PLR") that offers guidance for grantmaking public charities that have made a lobbying election under Section 501(h) of the Internal Revenue Code of 1986, as amended (the "Code"
IRS denies exemption to local fraternity foundation providing scholarships to chapter members
- Dinsmore & Shohl LLP
- -
- USA
- -
- August 4 2010
The IRS ruled that a foundation formed to provide tuition and room and board scholarships to members of a local fraternity chapter is not entitled to exempt status as a Section 501(c)(3) educational organization
Federal focus on indirect tax arbitrage benefits to colleges and universities: could access to tax-exempt bonds be limited?
- Latham & Watkins LLP
- -
- USA
- -
- May 6 2010
Tax arbitrage, the use of tax-exempt bond proceeds to purchase higher-yield investment assets, is generally prohibited under federal law
Deferred compensation for tax-exempt and governmental executives
- Duane Morris LLP
- -
- USA
- -
- September 29 2010
One of the most significant challenges in attracting talented executives in the tax-exempt and governmental entity (TEGE) sectors is designing a compensation structure that accomplishes three goals: rewards acknowledged "superstars" in the field; incentivizes performance commensurate with the long-term goals of the entity; and sufficiently protects the entity against employees' being lured away by other employers
Post-issuance tax compliance for tax-exempt bonds
- McCarter & English LLP
- -
- USA
- -
- September 30 2011
During the past few months the Internal Revenue Service ("IRS") has published several items that collectively demonstrate a heightened focus on the actual implementation of post-issuance compliance plans by both governmental issuers and charitable (501(c)(3)) borrowers of tax-exempt bonds
GuideStar provides report on grant-making and donations to charitable organizations
- McGuireWoods LLP
- -
- USA
- -
- September 1 2011
GuideStar, a nonprofit organization that maintains a database of information about tax-exempt organizations, released a new publication on August 19, 2011, reviewing the rules for making grants to charities and deductible charitable contributions
IRS may pursue gift tax from donors to some politically active organizations
- Baker & Hostetler LLP
- -
- USA
- -
- May 24 2011
Organizations formed to support particular political candidates often achieve favorable tax status as political action committees ("PACs") and those formed to focus on particular causes can be formed as charitable organizations
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