Description

Book Synopsis

An essential, timesaving guide for accountants, lawyers, nonprofit executives and directors, consultants, and volunteers Completely updated for 2022

This book is an indispensable guide to navigating the complex maze of nonprofit tax rules and regulations. A clear and fully cited description of the requirements for the various categories of tax-exempt entities from public charities, private foundations, civic associations, business leagues, and social clubs to title-holding companies and governmental entities can be found. Practical guidance on potential for income tax on revenue-producing enterprises along with explanations of many exceptions to taxability is provided. Issues raised by Internet activity, advertising, publishing, providing services, and much more are explained.

This useful annual supplement for 2022 will cover any and all changes and updates to the law within the previous 12 month period and will keep accountants, attorneys, and others up-to-dat

Table of Contents

Preface

Part I QUALIFICATIONS OF TAX-EXEMPT ORGANIZATIONS

Chapter 1 Distinguishing Characteristics of Tax-Exempt Organizations

§ 1.4 Role of the Internal Revenue Service

§ 1.8 Developments Responding to COVID-19

Chapter 2 Qualifying Under IRC § 501(c)(3)

§ 2.2 Operational Test

Chapter 3 Religious Organizations

§ 3.2 Churches

Chapter 4 Charitable Organizations

§ 4.1 Relief of the Poor

§ 4.3 Lessening the Burdens of Government

§ 4.5 Advancement of Education and Science

§ 4.6 Promotion of Health

Chapter 5 Educational, Scientific, and Literary Purposes and Prevention of Cruelty to Children and Animals

§ 5.1 Educational Purposes

Chapter 6 Civic Leagues and Local Associations of Employees: § 501(c)(4)

§ 6.2 Qualifying and Nonqualifying Civic Organizations

Chapter 9 Social Clubs: § 501(c)(7)

§ 9.1 Organizational Requirements and Characteristics

§ 9.4 Revenue Tests

Chapter 10 Instrumentalities of Government and Title-Holding Corporations

§ 10.6 Requirements for IRC §501(c)(8) and (c)(10)

Chapter 11 Public Charities

§ 11.2 “Inherently Public Activity” and Broad Public Support: § 509(a)(1)

§ 11.5 Difference Between § 509(a)(1) and § 509(a)(2)

§ 11.9 Supporting Organization: §509(a)(3)

Part II STANDARDS FOR PRIVATE FOUNDATIONS

Chapter 12 Private Foundations—General Concepts

§ 12.4 Termination of Private Foundation Status

Chapter 13 Excise Tax Based on Investment Income: IRC §4940

§ 13.2 Capital Gains

Chapter 14 Self-Dealing: IRC § 4941

§ 14.2 Sale, Exchange, or Lease of Property

§ 14.5 Transactions That Benefit Disqualified Persons

Chapter 15 Minimum Distribution Requirements: IRC § 4942

§ 15.1 Assets Used to Calculate Minimum Investment Return

§ 15.2 Measuring Fair Market Value

§ 15.4 Qualifying Distributions

Chapter 16 Excess Business Holdings and Jeopardizing Investments: IRC §§ 4943 and 4944

§ 16.1 Excess Business Holdings

§ 16.2 Jeopardizing Investments

Chapter 17 Taxable Expenditures: IRC § 4945

§ 17.3 Grants to Individuals

§ 17.4 Grants to Public Charities

Part III OBTAINING AND MAINTAINING TAX-EXEMPT STATUS

Chapter 18 IRS Filings, Procedures, and Policies

§ 18.1 IRS Determination Process

§ 18.2 Annual Filing of Form 990

§ 18.3 Reporting Organizational Changes to the IRS

§ 18.4 Weathering an IRS Examination

Chapter 19 Maintaining Exempt Status

§ 19.1 Checklists

Chapter 20 Private Inurement and Intermediate Sanctions

§ 20.2 Salaries and Other Compensation

§ 20.10 Intermediate Sanctions

§ 20.11 New § 4960 Excise Tax on Excess Compensation

Chapter 21 Unrelated Business Income

§ 21.4 Definition of Trade or Business

§ 21.8 Unrelated Activities

§ 21.10 Income Modifications

§ 21.11 Calculating and Minimizing Taxable Income

Chapter 23 Electioneering and Lobbying

§ 23.3 Tax on Political Expenditures

Chapter 24 Deductibility and Disclosures

§ 24.1 Overview of Deductibility

§ 24.2 The Substantiation and Quid Pro Quo Rules

§ 24.3 Valuing Donor Benefits

Chapter 25 Employment Taxes

§ 25.1 Distinctions Between Employees and Independent Contractors

§ 25.3 Reporting Requirements

Chapter 27 Cryptocurrency

§ 27.1 What Is Cryptocurrency?

§ 27.2 What Are the Various Kinds of Cryptocurrency?

§ 27.3 Should Nonprofits Be Involved in Cryptocurrency?

§ 27.4 Cryptocurrencies and the Internal Revenue Service

Index

Tax Planning and Compliance for TaxExempt

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    A Paperback / softback by Jody Blazek

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      View other formats and editions of Tax Planning and Compliance for TaxExempt by Jody Blazek

      Publisher: John Wiley & Sons Inc
      Publication Date: 13/06/2022
      ISBN13: 9781119873631, 978-1119873631
      ISBN10: 1119873630

      Description

      Book Synopsis

      An essential, timesaving guide for accountants, lawyers, nonprofit executives and directors, consultants, and volunteers Completely updated for 2022

      This book is an indispensable guide to navigating the complex maze of nonprofit tax rules and regulations. A clear and fully cited description of the requirements for the various categories of tax-exempt entities from public charities, private foundations, civic associations, business leagues, and social clubs to title-holding companies and governmental entities can be found. Practical guidance on potential for income tax on revenue-producing enterprises along with explanations of many exceptions to taxability is provided. Issues raised by Internet activity, advertising, publishing, providing services, and much more are explained.

      This useful annual supplement for 2022 will cover any and all changes and updates to the law within the previous 12 month period and will keep accountants, attorneys, and others up-to-dat

      Table of Contents

      Preface

      Part I QUALIFICATIONS OF TAX-EXEMPT ORGANIZATIONS

      Chapter 1 Distinguishing Characteristics of Tax-Exempt Organizations

      § 1.4 Role of the Internal Revenue Service

      § 1.8 Developments Responding to COVID-19

      Chapter 2 Qualifying Under IRC § 501(c)(3)

      § 2.2 Operational Test

      Chapter 3 Religious Organizations

      § 3.2 Churches

      Chapter 4 Charitable Organizations

      § 4.1 Relief of the Poor

      § 4.3 Lessening the Burdens of Government

      § 4.5 Advancement of Education and Science

      § 4.6 Promotion of Health

      Chapter 5 Educational, Scientific, and Literary Purposes and Prevention of Cruelty to Children and Animals

      § 5.1 Educational Purposes

      Chapter 6 Civic Leagues and Local Associations of Employees: § 501(c)(4)

      § 6.2 Qualifying and Nonqualifying Civic Organizations

      Chapter 9 Social Clubs: § 501(c)(7)

      § 9.1 Organizational Requirements and Characteristics

      § 9.4 Revenue Tests

      Chapter 10 Instrumentalities of Government and Title-Holding Corporations

      § 10.6 Requirements for IRC §501(c)(8) and (c)(10)

      Chapter 11 Public Charities

      § 11.2 “Inherently Public Activity” and Broad Public Support: § 509(a)(1)

      § 11.5 Difference Between § 509(a)(1) and § 509(a)(2)

      § 11.9 Supporting Organization: §509(a)(3)

      Part II STANDARDS FOR PRIVATE FOUNDATIONS

      Chapter 12 Private Foundations—General Concepts

      § 12.4 Termination of Private Foundation Status

      Chapter 13 Excise Tax Based on Investment Income: IRC §4940

      § 13.2 Capital Gains

      Chapter 14 Self-Dealing: IRC § 4941

      § 14.2 Sale, Exchange, or Lease of Property

      § 14.5 Transactions That Benefit Disqualified Persons

      Chapter 15 Minimum Distribution Requirements: IRC § 4942

      § 15.1 Assets Used to Calculate Minimum Investment Return

      § 15.2 Measuring Fair Market Value

      § 15.4 Qualifying Distributions

      Chapter 16 Excess Business Holdings and Jeopardizing Investments: IRC §§ 4943 and 4944

      § 16.1 Excess Business Holdings

      § 16.2 Jeopardizing Investments

      Chapter 17 Taxable Expenditures: IRC § 4945

      § 17.3 Grants to Individuals

      § 17.4 Grants to Public Charities

      Part III OBTAINING AND MAINTAINING TAX-EXEMPT STATUS

      Chapter 18 IRS Filings, Procedures, and Policies

      § 18.1 IRS Determination Process

      § 18.2 Annual Filing of Form 990

      § 18.3 Reporting Organizational Changes to the IRS

      § 18.4 Weathering an IRS Examination

      Chapter 19 Maintaining Exempt Status

      § 19.1 Checklists

      Chapter 20 Private Inurement and Intermediate Sanctions

      § 20.2 Salaries and Other Compensation

      § 20.10 Intermediate Sanctions

      § 20.11 New § 4960 Excise Tax on Excess Compensation

      Chapter 21 Unrelated Business Income

      § 21.4 Definition of Trade or Business

      § 21.8 Unrelated Activities

      § 21.10 Income Modifications

      § 21.11 Calculating and Minimizing Taxable Income

      Chapter 23 Electioneering and Lobbying

      § 23.3 Tax on Political Expenditures

      Chapter 24 Deductibility and Disclosures

      § 24.1 Overview of Deductibility

      § 24.2 The Substantiation and Quid Pro Quo Rules

      § 24.3 Valuing Donor Benefits

      Chapter 25 Employment Taxes

      § 25.1 Distinctions Between Employees and Independent Contractors

      § 25.3 Reporting Requirements

      Chapter 27 Cryptocurrency

      § 27.1 What Is Cryptocurrency?

      § 27.2 What Are the Various Kinds of Cryptocurrency?

      § 27.3 Should Nonprofits Be Involved in Cryptocurrency?

      § 27.4 Cryptocurrencies and the Internal Revenue Service

      Index

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