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Intermediate Sanctions: Curbing Nonprofit Abuse
 
 
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Intermediate Sanctions: Curbing Nonprofit Abuse [Paperback]

Bruce R. Hopkins (Author), D. Benson Tesdahl (Author)

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Book Description

April 11, 1997 0471174564 978-0471174561 1
What are the requirements of the new intermediate sanctions law?

What is the definition of an excess benefit transaction?

How will financial penalties be determined?

How will sanctions be applied?

What are the law's expanded reporting and disclosure requirements?

What can nonprofits do to plan for compliance?

These are just some of the questions you may be asking about intermediate sanctions, the most important legislation to impact the nonprofit sector in a generation. This unique guide tackles these crucial issues and more, equipping you with the vital information you need to understand the new rules and work with them effectively.

Written by two of the country's leading authorities on tax-exempt organizations, Intermediate Sanctions reviews the history and background of the act, and systematically examines how this body of law promises to affect the operations of public charities and other tax-exempt organizations. Clear and direct in approach, the book features down-to-earth examples throughout, making it an essential practical resource for lawyers, accountants, managers, and others working in the nonprofit arena.

Editorial Reviews

From the Publisher

Intermediate Sanctions highlights major IRS legislation for dealing with nonprofit organization's tax-exempt status. Easy to read accounts are given on the operations of all public charities and their boards, that outline excess benefit transactions, revenue sharing arrangements, loans, partnership and other areas that might invite government scrutiny.

From the Back Cover

What are the requirements of the new intermediate sanctions law?

What is the definition of an excess benefit transaction?

How will financial penalties be determined?

How will sanctions be applied?

What are the law's expanded reporting and disclosure requirements?

What can nonprofits do to plan for compliance?

These are just some of the questions you may be asking about intermediate sanctions, the most important legislation to impact the nonprofit sector in a generation. This unique guide tackles these crucial issues and more, equipping you with the vital information you need to understand the new rules and work with them effectively.

Written by two of the country's leading authorities on tax-exempt organizations, Intermediate Sanctions reviews the history and background of the act, and systematically examines how this body of law promises to affect the operations of public charities and other tax-exempt organizations. Clear and direct in approach, the book features down-to-earth examples throughout, making it an essential practical resource for lawyers, accountants, managers, and others working in the nonprofit arena.


Product Details


More About the Author

Bruce R. Hopkins is a lawyer who divides his time between the writing of books and his monthly newsletter, and the practice of law.

He is a senior partner in the law firm of Polsinelli Shughart PC, practicing in the firm's Kansas City, Missouri, and Washington, D.C., offices. He specializes in the representation of nonprofit, tax-exempt organizations. His practice ranges over the entirety of law matters involving exempt organizations, with emphasis on the formation of nonprofit organizations, acquisition of recognition of tax-exempt status for them, governance and the law, the private inurement and private benefit doctrines, the intermediate sanctions rules, legislative and political campaign activities issues, public charity and private foundation rules, unrelated business planning, use of exempt and for-profit subsidiaries, joint venture planning, tax shelter involvement, review of annual information returns, Internet communications developments, the law of charitable giving (including planned giving), and fundraising law issues.

Mr. Hopkins is the series editor of John Wiley & Sons' Nonprofit Law, Finance, and Management Series. He is the author (or, in some instances, co-author) of 26 books that are currently on the market. His first book, The Law of Tax-Exempt Organizations, was first published in 1975. His most recent book, Fundraising Law Made Easy, was published in 2009. He writes a monthly newsletter, Bruce R. Hopkins' Nonprofit Counsel. All of these publications are published by John Wiley & Sons.

He received the 2007 Outstanding Nonprofit Lawyer Award (Vanguard Lifetime Achievement Award) from the American Bar Association, Section of Business Law, Committee on Nonprofit Organizations. He is listed in "The Best Lawyers in America," Nonprofit Organizations/Charities Law, 2007-2010.

He participates in many conferences and seminars, including those sponsored by Georgetown University Law Center, the University of Texas, PESI, AICPA, Salk Institute, and Loyola University (Los Angeles).

He maintains the Nonprofit Law Center, accessible at www.nonprofitlawcenter.com.

He earned his J.D. and LL.M. degrees at the George Washington University National Law Center, and his B.A. at the University of Michigan.

He is a member of the bars of the District of Columbia and the state of Missouri.

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Inside This Book (learn more)
First Sentence:
The federal tax law now includes the long-awaited and much-heralded concept intermediate sanctions-an emphasis on the taxation of those who engaged in impermissible private transactions with tax-exempt public charities and social welfare organizations, rather than revocation of the tax exemption of these entities. Read the first page
Key Phrases - Statistically Improbable Phrases (SIPs): (learn more)
intermediate sanctions proposal, intermediate sanctions taxes, private inurement doctrine, first tier tax, intermediate sanctions rules, intermediate sanctions legislation, cess benefit transaction, initial excise tax, private inurement proscription, intermediate sanctions law, disqualified person, private benefit doctrine, individual whose compensation, private inurement rules, excise tax penalties, highest fiduciary standards, insider with respect, excess benefit, excess lobbying expenditures, penalty excise taxes, constructive ownership rules, benefit transactions, sole sanction, taxable period, annual information return
Key Phrases - Capitalized Phrases (CAPs): (learn more)
House Report, United States, Specific Applications of the Sanctions, Department of the Treasury, New York, John Wiley, House Committee, Tax Court, Daily Tax Report, Founding Church of Scientology, Tax Notes, Taxpayer Bill of Rights, World Family Corporation
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