Click here for instant medical insurance quotations - Your privacy is guaranteed - We do not share your name with anyone else.  No other agents will call.
Instant ONLINE Medical & Life Proposals

 

Employer Groups HIPAA after COBRA Individual & Family Medicare Life & Estate Planning Retirement Instant Medical Quotes

 


 

 

Law & Reference 
(Caveats*)

  
 

Non Profits 501 c 3

  

Steve Shorr.com
Introduction
Condo's
Family Law
Criminal Law
Conservatorship
Agency
Copyright Law
Small Claims
Law Help.org
General
Environmental Law
Tort Law
Telemarketing
Attorney Referral
Private Annuities
ESOP
Capital Gains
Pending Legislation
Non Profits 501 c 3
Drinking
Law School Notes
Talmud
Medical Expense Reimbursement  - HRA's
Better Health
Historical Pages
Site Map

 

IRS Exemption Requirements
for
Charities & Non-Profits

To be tax-exempt as an organization described in IRC Section § 501(c)(3) of the Code, an organization must be organized and operated exclusively for one or more of the purposes set forth in IRC Section 501(c)(3) and none of the earnings of the organization may inure to any private shareholder or individual. In addition, it may not attempt to influence legislation as a substantial part of its activities and it may not participate at all in campaign activity for or against political candidates.

The organizations described in IRC Section 501(c)(3) are commonly referred to under the general heading of "charitable organizations." Organizations described in IRC Section 501(c)(3), other than testing for public safety organizations, are eligible to receive tax-deductible contributions in accordance with IRC Section 170.

The exempt purposes set forth in IRC Section 501(c)(3) are charitable, religious, educational, scientific, literary, testing for public safety, fostering national or international amateur sports competition, and the prevention of cruelty to children or animals. The term charitable is used in its generally accepted legal sense and includes relief of the poor, the distressed, or the underprivileged; advancement of religion; advancement of education or science; erection or maintenance of public buildings, monuments, or works; lessening the burdens of government; lessening of neighborhood tensions; elimination of prejudice and discrimination; defense of human and civil rights secured by law; and combating community deterioration and juvenile delinquency.

IRS ONLINE Classes Links  Rules & Details

To be organized exclusively for a charitable purpose, the organization must be a corporation, community chest, fund, or foundation. A charitable trust is a fund or foundation and will qualify. However, an individual or a partnership will not qualify. The articles of organization must limit the organization's purposes to one or more of the exempt purposes set forth in IRC Section 501(c)(3) and must not expressly empower it to engage, other than as an insubstantial part of its activities, in activities that are not in furtherance of one or more of those purposes. This requirement may be met if the purposes stated in the articles of organization are limited in some way by reference to IRC Section 501(c)(3). In addition, assets of an organization must be permanently dedicated to an exempt purpose. This means that should an organization dissolve, its assets must be distributed for an exempt purpose described in this chapter, or to the federal government or to a state or local government for a public purpose. To establish that an organization's assets will be permanently dedicated to an exempt purpose, the articles of organization should contain a provision insuring their distribution for an exempt purpose in the event of dissolution. Although reliance may be placed upon state law to establish permanent dedication of assets for exempt purposes, an organization's application can be processed by the IRS more rapidly if its articles of organization include a provision insuring permanent dedication of assets for exempt purposes. For examples of provisions that meet these requirements, download Publication 557, Tax-Exempt Status for Your Organization.

An organization will be regarded as "operated exclusively" for one or more exempt purposes only if it engages primarily in activities which accomplish one or more of the exempt purposes specified in IRC Section 501(c)(3). An organization will not be so regarded if more than an insubstantial part of its activities is not in furtherance of an exempt purpose. For more information concerning types of charitable organizations and their activities, download Publication 557.

Click here for instant medical insurance quotations - Your privacy is guaranteed - We do not share your name with anyone else.  No other agents will call.

The organization must not be organized or operated for the benefit of private interests, such as the creator or the creator's family, shareholders of the organization, other designated individuals, or persons controlled directly or indirectly by such private interests. No part of the net earnings of an IRC Section 501(c)(3) organization may inure to the benefit of any private shareholder or individual. A private shareholder or individual is a person having a personal and private interest in the activities of the organization. If the organization engages in an excess benefit transaction with a person having substantial influence over the organization, an excise tax may be imposed on the person and any managers agreeing to the transaction.

An IRC Section 501(c)(3) organization may not engage in carrying on propaganda, or otherwise attempting, to influence legislation as a substantial part of its activities. Whether an organization has attempted to influence legislation as a substantial part of its activities is determined based upon all relevant facts and circumstances. However, most IRC Section 501(c)(3) organizations may use Form 5768, Election/Revocation of Election by an Eligible Section 501(c)(3) Organization to Make Expenditures to Influence Legislation, to make an election under IRC Section 501(h) to be subject to an objectively measured expenditure test with respect to lobbying activities rather than the less precise "substantial activity" test. Electing organizations are subject to tax on lobbying activities that exceed a specified percentage of their exempt function expenditures. For further information regarding lobbying activities by charities, download Lobbying Issues.

For purposes of IRC Section 501(c)(3), legislative activities and political activities are two different things, and are subject to two different sets of rules. The latter is an absolute bar. An IRC Section 501(c)(3) organization may not participate in, or intervene in (including the publishing or distributing of statements), any political campaign on behalf of (or in opposition to) any candidate for public office. Whether an organization is engaging in prohibited political campaign activity depends upon all the facts and circumstances in each case. For example, organizations may sponsor debates or forums to educate voters. But if the forum or debate shows a preference for or against a certain candidate, it becomes a prohibited activity. The motivation of an organization is not relevant in determining whether the political campaign prohibition has been violated. Activities that encourage people to vote for or against a particular candidate, even on the basis of non-partisan criteria, violate the political campaign prohibition of IRC Section 501(c)(3). See the FY-2002 CPE topic entitled Election Year Issues for further information regarding political activities of charities.
(IRS site)

Consumer Links

IRS explanation of how to start up and end a 501 c3 exempt organization
Process of getting IRS 501 C 3 exemption

IRS Main Page for Charities and Non-Profits

IRS Publication on Charitable Contributions
IRS Contributions - Charity

For property that you have held long-term (longer than twelve months) as a capital asset, you may generally deduct its full fair market value, as determined by a qualified appraisal (up to 30% AGI and five-year carryover), provided that MoMA's use of the property is related to its charitable mission. An example of related use is when you donate modern or contemporary artwork that the Museum accepts for its collection. If MoMA's use is unrelated (e.g., if you donate an antique rug or artwork not accepted for MoMA's collection) or if the property was held for twelve months or less, then your deduction is limited to your cost basis. Note that for works donated by the artist, the income tax charitable deduction may be limited to the actual cost of materials. moma.org/

  1. Items Valued at under $20,000. The Office of Art Appraisal Services is also available to provide telephone assistance to examiners in determining the FMV of many objects of art that have return values of less than $20,000. Examiners are encouraged to take advantage of this expert advice for such items as paintings, watercolors, prints, lithographs, etchings, drawings and sculptures. The valuation specialists in Art Appraisal Services may be reached at (202) 401-4124. However, prior to making a telephone call to discuss the value of any item, the examiner should ascertain as many as possible of the following:
    1. Name of artist
    2. Description of item including: the medium, title, size, date created, and any distinguished marks, symbols or labels
    3. Date acquired by taxpayer
    4. Valuation date
    5. Cost of acquisition
    6. Claimed FMV

 

Tax on unrelated Business Income of Exempt Organizations
IRS publication - tax on unrelated biz income

Offer in Compromise
www.irs.gov/

Online Courses at StayExempt.irs.gov

  Click here for instant medical insurance quotations - Your privacy is guaranteed - We do not share your name with anyone else.  No other agents will call.

The IRS provides on-line training for tax-exempt organizations at StayExempt.irs.gov. The site includes a virtual workshop - web-based version of the popular Exempt Organization workshops - and a number of mini-courses on topics of interest to tax-exempt organizations. If you are an educator in need of Virtual Workshop testing material, please contact us.

The StayExempt mini-course catalog includes the following subjects:

bullet
bullet
Disaster Relief - Part I: How charitable organizations may provide relief in disaster situations and the special tax rules that apply to such organizations.
bullet
Disaster Relief - Part II: Special rules that apply to employer sponsored disaster relief organizations, the deductibility of contributions to disaster relief organizations and the tax treatment of relief recipients.
bullet
403(b) Tax-Sheltered Annuity Plans - Employee: Advantages of participating in a tax-sheltered annuity plan.
bullet
403(b) Tax-Sheltered Annuity Plans - Employer: Recent regulatory changes affecting, and operational requirements for, a tax-sheltered annuity plan.
bullet
Navigating IRS EO Resources - How to use IRS.gov and find workshops, outreach events and publications.
bullet
Political Campaigns and Charities - Explains the ban on intervening in political campaign activities by tax-exempt and charitable organizations.
bullet
Can I Deduct My Charitable Contributions? – What’s deductible and what’s not?
bullet
The Wonderful World of Foundation Classification (Part I) - Covers two common types of classifications for 501(c)(3) organizations.
bullet
Applying for Tax-Exempt Status – How to make the application process easier and quicker for new organizations.

The five interactive virtual workshop sessions are:

bullet
Tax-Exempt Status – How can you keep your 501(c)(3) exempt?
bullet
Unrelated Business Income – Does your organization generate taxable income?
bullet
Employment Issues – How should you treat your workers for tax purposes?
bullet
Form 990 – What records should your organization keep to prepare to file an accurate Form 990?
bullet
Required Disclosures – What items are open to public inspection and what disclosures are exempt organizations required to make?

Users can complete the modules in any order and repeat them as many times as they like. The StayExempt site does not require registration and visitors will remain anonymous.

IRS Exempt Organizations created and maintains StayExempt.irs.gov.

 

Life Cycle of a Public Charity

 

During its existence, a public charity has numerous interactions with the IRS – from filing an application for recognition of tax-exempt status, to filing the required annual information returns, to making changes in its mission and purpose. The IRS provides information, explanations, guides, forms and publications on all of these subjects – they are available through this IRS Web site. The illustration below provides an easy-to-use way of linking to the documents most charities will need as they proceed though the phases of their “life cycle.”

In addition to the following illustration, you can also download a graphical depiction of the life cycle, which includes functioning links back to our site.

Starting Out

bulletOrganizing Documents
 
bulletRequired Provisions
bulletSample Organizing Documents
bulletGovernance and related topics
bullet
bullet
bulletEmployer Identification Number
bulletApplication Form
bulletOnline EIN Application
 
bulletCharitable Solicitation
bulletInitial State Registration
bulletPeriodic State Reporting
bulletState Charity Offices
 
bulletHelp from the IRS
 
Applying to IRS
bulletRequirements for Exemption
bulletApplication Forms
bulletExemption Application
bullet
bullet
bullet
bullet
bulletIRS Processing
bulletWhile You Wait
bulletRulings and Determination Letters 
bullet
bullet
bullet
bullet
Publication 4220, Applying for 501(c)(3) Tax-Exempt Status
bullet
Publication 557, Tax-Exempt Status for Your Organization
 
Required Filings
bulletAnnual Exempt Organization Return
bulletRequirements for Filing
bullet
bullete-Postcard for Small Exempt Organizations
bulletUnrelated Business Income Tax
bulletRequirements for Filing
bulletForm 990-T
bulletForm 990-T instructions
bulletForm 990-W
bulletEstimated Tax
bulletExceptions and Exclusions
bulletPublication 598, Tax on Unrelated Business Income for Exempt Organizations
bulletHelp from the IRS
bulletCustomer Account Services
bulletPublication 4221-PC, Compliance Guide for 501(c)(3) Public Charities
bulletPublication 557, Tax-Exempt Status for Your Organization
 
Ongoing Compliance
bulletJeopardizing Exemption
bulletInurement/Private Benefit
bulletIntermediate Sanctions
bulletLobbying/Political Activity
bulletNot Filing Annual Return or Notice
 
bullet
bullet
bullet
bullet
bullet
bullet
bulletSubstantiation and Disclosure
bulletCharitable Contributions
bulletPublication 1771, Charitable Contributions Substantiation and Disclosure Requirements
bulletWritten acknowledgments
bulletQuid pro quo contributions
bulletCharity auctions
bulletNoncash Contributions
bulletDonor ( Form 8283)
bulletDonee ( Form 8282)
bulletPublication 561, Determining the Value of Donated Property
bullet
bulletHelp from the IRS
bulletCustomer Account Services
bulletPublication 4221-PC, Compliance Guide for 501(c)(3) Public Charities
bulletPublication 557, Tax-Exempt Status for Your Organization
 
Significant Events
bulletReporting Changes to IRS
bulletTermination of Exempt Organization
 
bulletPrivate Letter Rulings and Determination Letters
 
bulletAudits of Exempt Organizations
bulletPotential Examination Consequences
bulletExamination Procedures
bulletPower of Attorney
 
bulletTermination of an Exempt Organization
bulletHelp from the IRS

 

IRC §501 C 6
Condo's Family Law Criminal Law Conservatorship Agency Copyright Law Small Claims Law Help.org General Environmental Law Tort Law Telemarketing Attorney Referral Private Annuities ESOP Capital Gains Pending Legislation Non Profits 501 c 3 Drinking Law School Notes Talmud Medical Expense Reimbursement  - HRA's Better Health Historical Pages Site Map

 

 
 
 
 
 

Attorney Referrals

Nolo Press.com

 

Click here for instant medical insurance quotations - Your privacy is guaranteed - We do not share your name with anyone else.  No other agents will call.
Instant ONLINE Medical & Life Proposals

 

horizontal rule

Employer Groups HIPAA after COBRA Individual & Family Medicare Life & Estate Planning Retirement Instant Medical Quotes

 

See the "Caveats" below.  I hope you find what your looking for and that you can come to an amicable resolution of your problem.

We will NOT respond to any questions about law - other than if it applies to our "Day Job"  Medical, Life, Disability & Retirement Plans.  That is why we have Google Ads on the site, so that you can find an appropriate professional to help you.  If you need to consult an Attorney - click here for links. 

This Web site is designed to provide accurate and authoritative information regarding the subject matter covered. BUT it will no longer be regulary maintainted.  The webmasters "Day Job" is now keeping him too busy to regulary update this site or answer any questions on anything other than Insurance Matters.  It is provided with the understanding that the website   is not engaged in rendering legal, tax, Medical or Insurance advice. Be sure to verify that any forms linked to are the MOST recent version.  The links are from our review of various search engines, advertising and so forth.  We do NOT necessarily recommend those we link to.  We link to many Government sites and as the saying goes - one of the world's 3 biggest lies is - I'm from the Government and we're here to help you.  We not responsible for content on external web sites, nor do we have any control over them. If legal,  tax, Insurance or Medical advice is required, the services of a competent professional in your state, if you are outside of California click here for a Health Insurance Professional  should be sought. Click here for more formal wording and the visitor agreement.

Linking - You are encouraged and permission is granted to link to ANY page shown on our site map.  You may not link to any other pages, without express permission.  Click here for more details.