This report examines the limitations that the Internal Revenue Code places on political activity -- including lobbying and campaign intervention -- by tax-exempt organizations
The 109th Congress is examining the role of groups organized under section 527 of the Internal Reven...
The rules that should govern political campaign intervention by social welfare organizations exempt ...
The Notice is a good first step. It creates bright-line standards that are easy to apply and that wi...
Public charities, religious groups, social welfare organizations, and other nonprofit organizations ...
Some tax-exempt organizations are legally allowed to engage in political campaign activity, and some...
Political organizations have the primary purpose of influencing federal, state, or local elections ...
Virtually all political organizations are "section 527" political organizations, which means that th...
This article argues that there are some quick regulatory fixes the Treasury can implement to ensure ...
Nonprofit section 501(c)(3) organizations are prohibited from participating or intervening in an ele...
The Internal Revenue Service is not usually thought of as the agency charged with enforcing the nati...
Churches and other Internal Revenue Code (IRC) Section 501(c)(3) tax-exempt organizations can lose t...
This report addresses in summary fashion the differences among several kinds of tax-exempt organizat...
The article considers the correct tax treatment of organized political activity by the tax system an...
In the wake of the 2012 presidential election, tax and political law lawyers are left with a number ...
This report discusses 501(c)(4) social welfare organizations, including the requirements necessary t...
The 109th Congress is examining the role of groups organized under section 527 of the Internal Reven...
The rules that should govern political campaign intervention by social welfare organizations exempt ...
The Notice is a good first step. It creates bright-line standards that are easy to apply and that wi...
Public charities, religious groups, social welfare organizations, and other nonprofit organizations ...
Some tax-exempt organizations are legally allowed to engage in political campaign activity, and some...
Political organizations have the primary purpose of influencing federal, state, or local elections ...
Virtually all political organizations are "section 527" political organizations, which means that th...
This article argues that there are some quick regulatory fixes the Treasury can implement to ensure ...
Nonprofit section 501(c)(3) organizations are prohibited from participating or intervening in an ele...
The Internal Revenue Service is not usually thought of as the agency charged with enforcing the nati...
Churches and other Internal Revenue Code (IRC) Section 501(c)(3) tax-exempt organizations can lose t...
This report addresses in summary fashion the differences among several kinds of tax-exempt organizat...
The article considers the correct tax treatment of organized political activity by the tax system an...
In the wake of the 2012 presidential election, tax and political law lawyers are left with a number ...
This report discusses 501(c)(4) social welfare organizations, including the requirements necessary t...
The 109th Congress is examining the role of groups organized under section 527 of the Internal Reven...
The rules that should govern political campaign intervention by social welfare organizations exempt ...
The Notice is a good first step. It creates bright-line standards that are easy to apply and that wi...