Internal Revenue Bulletin:  2008-43 

October 27, 2008 

EXEMPT ORGANIZATIONS


T.D. 9423 T.D. 9423

Final, temporary, and proposed regulations under sections 170, 507, 509, 6033, and 6043 of the Code affect tax-exempt organizations required to file an annual return under section 6033. The regulations provide guidance relating to the computation of public support, new procedures for organizations seeking classification as public charities, and guidance regarding the reporting of other information required on the annual return.

REG-142333-07 REG-142333-07

Final, temporary, and proposed regulations under sections 170, 507, 509, 6033, and 6043 of the Code affect tax-exempt organizations required to file an annual return under section 6033. The regulations provide guidance relating to the computation of public support, new procedures for organizations seeking classification as public charities, and guidance regarding the reporting of other information required on the annual return.

Announcement 2008-97 Announcement 2008-97

The IRS has revoked its determination that Northern California Housing of Stockton, CA; 1st United Charitable Trust of Glendale, AZ; HarrisWelburn Company of Upper Marlboro, MD; Bond Endowment Fund, Inc., of Timonium, MD; and Northern Lights Jr. Drum & Bugle Corps Association of Vancouver, WA, qualify as organizations described in sections 501(c)(3) and 170(c)(2) of the Code.


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