John Wiley & Sons The Law of Tax-Exempt Organizations Cover Understand the newest developments in the law and regulation of tax-exempt organizations In the 202.. Product #: 978-1-394-22341-1 Regular price: $226.17 $226.17 Auf Lager

The Law of Tax-Exempt Organizations

2024 Cumulative Supplement

Hopkins, Bruce R. / Hamilton, Shane T.

Cover

12. Auflage November 2024
288 Seiten, Softcover
Wiley & Sons Ltd

ISBN: 978-1-394-22341-1
John Wiley & Sons

Weitere Versionen

epubmobipdf

Understand the newest developments in the law and regulation of tax-exempt organizations

In the 2024 Cumulative Supplement to The Law of Tax-Exempt Organizations, 12th Edition, a team of experienced and renowned attorneys delivers the latest developments in the ever-evolving tangle of laws and regulations impacting on the operation of tax-exempt entities in the United States. You'll find discussions of the most recent Treasury Department regulations, Internal Revenue Service revenue rulings and revenue procedures, and federal court opinions (and the occasional state court opinion of particular importance) from 2023 and 2024.

The authors explore new private letter rulings from the IRS, updating the public on their position on a wide array of issues with day-to-day applicability to tax exempt organizations. You'll also find:

* Incisive and authoritative analysis of recent federal court decisions impacting the managers, officers, and directors of tax-exempt organizations

* The authors' valuable insights into the efficacy and correctness of the various rulings, procedures, and opinions from government agencies issued since 2023

* Careful consideration of the effect of the growing number of laws, regulations, and procedures impacting the management of tax-exempt entities

Perfect for the managers, directors, and officers of tax-exempt organizations, the 2024 Cumulative Supplement to the 12th edition of The Law of Tax-Exempt Organizations will also prove invaluable to the lawyers, accountants, and other professionals who serve them.

A Letter to the reader

About the Authors

Preface

About the Online Resources

Book Citations

PART ONE: INTRODUCTION TO THE LAW OF TAX-EXEMPT ORGANIZATIONS

1 Definition of and Rationales for Tax-Exempt Organizations

2 Overview of Nonprofit Sector and Tax-Exempt Organizations

PART TWO: FUNDAMENTALS OF THE LAW OF TAX-EXEMPT ORGANIZATIONS

3 Tax Exemption: Source and Recognition

4 Organizational, Operational, and Related Tests and Doctrines

5 Nonprofit Governance

PART THREE: TAX-EXEMPT CHARITABLE ORGANIZATIONS

6 Concept of Charitable

7 Charitable Organizations

8 Educational Organizations

9 Scientific Organizations

10 Religious Organizations

11 Other Types of Charitable Organizations

12 Public Charities and Private Foundations

PART FOUR: OTHER TAX-EXEMPT ORGANIZATIONS

13 Social Welfare Organizations

14 Business Leagues and Similar Organizations

15 Social Clubs

16 Labor, Agricultural, and Horticultural Organizations

17 Political Organizations

18 Employee Benefit Funds

19 Other Categories of Tax-Exempt Organizations

PART FIVE: PRINCIPAL EXEMPT ORGANIZATION LAWS

20 Private Inurement and Private Benefit Doctrines

21 Intermediate Sanctions

22 Legislative Activities by Tax-Exempt Organizations

23 Political Campaign Activities by Tax-Exempt Organizations

24 Unrelated Business: Basic Rules

25 Unrelated Business: Modifications, Exceptions, Special Rules, and Taxation

PART SIX: ACQUISITION AND MAINTENANCE OF TAX EXEMPTION

26 Exemption Recognition and Notice Processes

27 Administrative and Litigation Procedures

28 Operational Requirements

PART SEVEN: INTERORGANIZATIONAL STRUCTURES AND OPERATIONAL FORMS

29 Tax-Exempt Organizations and Exempt Subsidiaries

30 Tax-Exempt Organizations and For-Profit Subsidiaries

31 Tax-Exempt Organizations and Joint Ventures

32 Tax-Exempt Organizations: Other Operations and Restructuring

Appendix A--Sources of the Law

Table of Cases

Table of IRS Revenue Rulings

Table of IRS Revenue Procedures

Table of IRS Private Determinations Cited in Text

Table of Other IRS Private Determinations

Table of Cases Discussed in Bruce R. Hopkins' Nonprofit Counsel

Table of IRS Private Determinations Discussed in Bruce R. Hopkins' Nonprofit Counsel
Cumulative Index
Bruce R. Hopkins (Kansas City, MO) practiced nonprofit law, as he worked with and advised tax-exempt and charitable organizations. He began practicing, studying and writing about the field of nonprofit following the passage of the first U.S. Congressional bill, passed in 1969, that established nonprofit and tax-exempt organizations in the United States of America. As a practicing attorney, professor, mentor and scholar in the field, Bruce was often referred to as the "Dean of Nonprofit Law."
He was a presenter and featured speaker, nationally and internationally, at numerous conferences throughout his career, among them Representing and Managing Tax-Exempt Organizations (Georgetown University Law Center, Washington, D.C.) and The Private Foundations Tax Seminar (El Pomar Foundation, Colorado Springs, CO). He practiced law in Washington, D.C. and Kansas City, MO, for over 50 years, receiving numerous awards and forms of recognition for his efforts.

Shane Hamilton (Coppell, TX) has represented tax-exempt, nonprofit organizations in connection with their federal tax and nonprofit governance matters for over two decades, including family- and company-sponsored private foundations, publicly supported charities, private schools, churches and religious organizations, supporting organizations, charitable trusts, social welfare organizations, and trade associations. He regularly counsels tax-exempt organizations on a wide range of matters involving nonprofit corporate law, governance best practices, obtaining and maintaining federal tax-exempt status, UBIT, excess benefit transactions (intermediate sanctions), private foundation excise taxes, and other legal requirements applicable to tax-exempt organizations.
In addition to advising tax-exempt clients on their tax and legal issues, he offers clients practical advice on navigating the challenges presented when business or mission-oriented goals conflict with the tax laws. Over the years, Mr. Hamilton has acted as outside general counsel for many different organizations; currently he serves in that role for The Meadows Mental Health Policy Institute for Texas.

B. R. Hopkins, Member, District of Columbia Bar; S. T. Hamilton, The Meadows Mental Health Policy Institute for Texas