This Note argues that the courts and the Service should recognize social welfare organizations as charitable and, consequently, contributions to such organizations should be tax deductible. Part I describes the Service\u27s position and sets forth the statutory arguments supporting it. Part II raises two objections to the Service\u27s position: (1) the distinction between social welfare organizations and charitable organizations lacks an adequate statutory justification, and (2) this distinction produces unpredictable and arbitrary results. Part III proposes that all social welfare organizations be accorded charitable status under subsection 50l(c)(3). This proposal would eliminate the arbitrary results now reached by the Service, increase ...
This paper seeks to lay out a proposal to redefine what it takes to receive tax-deductible donations...
This summer, the IRS issued long-awaited guidance on the deductibility of charitable contributions m...
30 p.This Comment seeks to explain how a public benefit requirement will improve the charitable sec...
This Note argues that the courts and the Service should recognize social welfare organizations as ch...
Nonprofit firms may not distribute profits to owners but instead must retain them or reinvest them. ...
The recent spread of Benefit Corporations formally challenges the assumption that for-profit compani...
A taxpayer is entitled to a charitable contribution deduction for gifts of money or property made du...
Several states have passed — and many more are considering — new tax credits that would reduce tax l...
[T]his article proposes a new approach to defining the term “charitable” for tax purposes that both ...
With federal subsidies to charitable organizations exceeding $232 billion for fiscal years 2007 to 2...
With federal subsidies to charitable organizations exceeding $232 billion for fiscal years 2007 to 2...
The draft report of the Industry Commission's charitable organisations inquiry introduces a new term...
This paper seeks to lay out a proposal to redefine what it takes to receive tax-deductible donations...
The Internal Revenue Service recognizes numerous types of section 501(c) organizations. These includ...
In White v. United States, the United States Court of Appeals for the Tenth Circuit reversed a dist...
This paper seeks to lay out a proposal to redefine what it takes to receive tax-deductible donations...
This summer, the IRS issued long-awaited guidance on the deductibility of charitable contributions m...
30 p.This Comment seeks to explain how a public benefit requirement will improve the charitable sec...
This Note argues that the courts and the Service should recognize social welfare organizations as ch...
Nonprofit firms may not distribute profits to owners but instead must retain them or reinvest them. ...
The recent spread of Benefit Corporations formally challenges the assumption that for-profit compani...
A taxpayer is entitled to a charitable contribution deduction for gifts of money or property made du...
Several states have passed — and many more are considering — new tax credits that would reduce tax l...
[T]his article proposes a new approach to defining the term “charitable” for tax purposes that both ...
With federal subsidies to charitable organizations exceeding $232 billion for fiscal years 2007 to 2...
With federal subsidies to charitable organizations exceeding $232 billion for fiscal years 2007 to 2...
The draft report of the Industry Commission's charitable organisations inquiry introduces a new term...
This paper seeks to lay out a proposal to redefine what it takes to receive tax-deductible donations...
The Internal Revenue Service recognizes numerous types of section 501(c) organizations. These includ...
In White v. United States, the United States Court of Appeals for the Tenth Circuit reversed a dist...
This paper seeks to lay out a proposal to redefine what it takes to receive tax-deductible donations...
This summer, the IRS issued long-awaited guidance on the deductibility of charitable contributions m...
30 p.This Comment seeks to explain how a public benefit requirement will improve the charitable sec...