Not-for-profit health care providers are converting to for-profit status on an unprecedented scale. Directors and officers have too frequently taken advantage of the conversions to misappropriate the organizations\u27 assets. Common law remedies have proven inadequate, and many states have no specific statutory remedies. The state statutory remedies that have been enacted range from fairly comprehensive to quite inadequate. Not-for-profit health providers are generally also subject to the federal tax rules governing tax-exempt organizations. Until recently, however, the only sanction available to the Internal Revenue Service (IRS) was to revoke the organization\u27s tax-exempt status. The IRS rarely invoked this remedy both because it seeme...
Private inurement certainly manifests itself in protean ways, but regardless of form, the prohibit...
When collection of unpaid taxes cannot be effected from the person primarily liable for them, the In...
Significant developments in the law of tax-exempt healthcare organizations occurred during the early...
Tax-exempt hospitals receive millions of dollars worth of tax breaks each year for the purpose of pr...
IRS oversight of joint ventures between exempt and for-profit organizations has undergone substantia...
On August 4, 1988, the Department of the Treasury issued proposed intermediate sanctions regulations...
The Internal Revenue Service is not usually thought of as the agency charged with enforcing the nati...
A recent memorandum from the General Counsel of the Internal Revenue Service changes the standard ag...
Is the IRS Above the Law? Potential remedies for taxpayers damaged by unlawful IRS conduc
Recent events have highlighted the difficulties the Internal Revenue Service faces when attempting t...
Plaintiff corporation was organized in 1947 by physicians who had formerly maintained a clinic for t...
Although tax exempt organizations are creatures of the state ,it is under the federal law that they ...
The Internal Revenue Service’s post-Citizens United approach to political activity by would-be tax-e...
Joint ventures between tax-exempt hospitals and for-profit organizations have become a common mechan...
Do contemporary charitable hospitals provide a sufficient community benefit to justify the loss of g...
Private inurement certainly manifests itself in protean ways, but regardless of form, the prohibit...
When collection of unpaid taxes cannot be effected from the person primarily liable for them, the In...
Significant developments in the law of tax-exempt healthcare organizations occurred during the early...
Tax-exempt hospitals receive millions of dollars worth of tax breaks each year for the purpose of pr...
IRS oversight of joint ventures between exempt and for-profit organizations has undergone substantia...
On August 4, 1988, the Department of the Treasury issued proposed intermediate sanctions regulations...
The Internal Revenue Service is not usually thought of as the agency charged with enforcing the nati...
A recent memorandum from the General Counsel of the Internal Revenue Service changes the standard ag...
Is the IRS Above the Law? Potential remedies for taxpayers damaged by unlawful IRS conduc
Recent events have highlighted the difficulties the Internal Revenue Service faces when attempting t...
Plaintiff corporation was organized in 1947 by physicians who had formerly maintained a clinic for t...
Although tax exempt organizations are creatures of the state ,it is under the federal law that they ...
The Internal Revenue Service’s post-Citizens United approach to political activity by would-be tax-e...
Joint ventures between tax-exempt hospitals and for-profit organizations have become a common mechan...
Do contemporary charitable hospitals provide a sufficient community benefit to justify the loss of g...
Private inurement certainly manifests itself in protean ways, but regardless of form, the prohibit...
When collection of unpaid taxes cannot be effected from the person primarily liable for them, the In...
Significant developments in the law of tax-exempt healthcare organizations occurred during the early...