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 Nonprofit Corporations – Are these corporate records open for inspection?

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

Skating on Thin Ice: IRS Does Not Recognize Organization’s 501(c)(3) Status

Another Attack on Conservation Easements