Extra, Extra: IRS Division of Tax Exempt and Government Entities Releases FY2023 Program Letter

Is Your Trade Associations prepared for IRS audit? IRS Issues Technical Guidance for 501(c)(6) Organizations

Insurance Considerations for Nonprofit Organizations

Minnesota Nonprofit Corporations — Bread and Butter Regulatory Considerations

Church Status: Can (and should) your religious nonprofit seek church status with the IRS?

Another IRS Adverse Private Letter Ruling | Revocation of Tax-Exempt Status and Organizational and Operational Issues

Adverse Rulings from the IRS Exempt Organizations Division. How Can Your Organization Learn from Others’ Mistakes?

What is a Section 509(a)(3) Supporting Organization?

Can a Nonprofit Fundraise for Another Nonprofit? Legal and Tax Considerations

Tax Exemption and Unrelated Business Income Rules (UBIT): “Substantially Related” (Part 3 of 3)

Can a Church or Other Public Charity Endorse a Candidate? Tax Treatment of Political Campaign and Lobbying of Tax-Exempt Organizations

Tax Exemption and Unrelated Business Income Tax (UBIT): Rules, Modifications and Exceptions (Part 2 of 3)

Tax Exemption and Unrelated Business Income Tax (UBIT): The Framework (Part 1 of 3)

Texas Religious Organizations Property Tax Exemption

Representation of Texas Nonprofit Corporations

IRS Tax Exempt and Government Entities: A Summary of the Past Year

What is reasonable compensation for employees of an I.R.C. § 501(c)(3)? (Part 1)

TIGTA Recognizes Noncompliant Exempt Orgs May Be Flying Under the IRS’ Radar