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Texas Court Rules Natural Gas Destined For Interstate Commerce Properly Subject To Local Property Tax.
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Firm Forwards Amicus Brief on Hospital Community Benefit Reporting.
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Group Seeks Removal of New Community Benefit Reporting Rule.
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IRS LTR: Extension Granted to Elect Period for Low-Income Housing Credit.
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Foley: IRS Releases Favorable Private Business Use Rules For Facilities Financed With Tax-Exempt Bonds.
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Philadelphia 2010 Water Bonds’ Tax-Exemption Under IRS Scrutiny.
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IRS Rules on Tax Consequences of Plan Contributions, Transfers.
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IRS Issues Guidance on Facilities Financed With Tax-Exempt Bonds.
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IRS Issues Guidance on Facilities Financed With Tax-Exempt Bonds.
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IRS Issues Guidance on ACOs.
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IRS LTR: Income Exempt as Exercise of Essential Government Function.
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IRS LTR: Historic Preservation Charity’s Agreement Won’t Jeopardize Exemption.
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IRS LTR: Nonprofit Corporation’s Retirement Plan Is a Church Plan.
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Proposed Regs Remove 36-Month Nonpayment Testing Period Rule.
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IRS LTR: Plan Is a Qualified Governmental Excess Benefit Arrangement.
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IRS LTR: Plan Is a Qualified Governmental Excess Benefit Arrangement.
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IRS LTR: Plan Is a Qualified Governmental Excess Benefit Arrangement.
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IRS LTR: Extension Granted to Make Low-Income Housing Election.
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IRS Requests Comments on Tax-Exempt Bond Arbitrage Regs.
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The E-Mail Caveat Is Dead! Long Live the E-Mail Caveat!
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IRS LTR: Arrangement With For-Profit Won’t Jeopardize Group’s Exempt Status.
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IRS TE/GE Advisory Committee Requests Applications.
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EO Update: e-News for Charities & Nonprofits – October 2, 2014
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IRS LTR: Utility’s Rate Base Reduction Inconsistent with ACRS Rules.
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NABL Urges Aggregate Treatment of Partnerships.
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Chamber of Commerce Argues Court Erred in Work Product Analysis.
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IRS Issues Guidance on Changes to Pension Funding Stabilization Rules.
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The State of Nonprofit Governance.
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IRS LTR: Utility Not Violating Normalization Rules.
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IRS LTR: Utility’s Normalization Methodology Is Proper.
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FASB Advisory Group Expects Challenges With New Nonprofit Rules.
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IRS Approves Proposed Allocations of Build America Bond Proceeds.
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Orrick: IRS Issues Additional Guidance on “Start Of Construction” Requirement for Renewable Energy Tax Credits.
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NABL Issues Guidance for Certain Conduit Bond Deals.
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IRS LTR: VEBA’s Settlement Amount Is Exempt Function Income.
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IRS EO Update: e-News for Charities and Nonprofits – August 20, 2014
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H.R. 5319 Would Change Manufacturing Bond Rules.
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Disaster-Related Guidance Suspends Some Rules on Bond-Financed Housing.
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GFOA Files Supreme Court Amicus Brief in Maryland Income Tax Case.
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McDermott: IRS Issues Additional Guidance With Respect to 2013 Beginning Of Construction Rules for Wind and Other Renewable Projects.
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H.R. 5330 Would Make Build America Bonds Permanent.
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H.R. 5347 Would Extend Qualified Zone Academy Bonds.
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IRS LTR: Hospital Organization is Denied Exemption.
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IRS Clarifies Guidance on Construction of Energy Facilities.
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New IRS Form May Fuel Nonprofit Political Activity.
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EO Short Form Filers Don’t Have to Reveal Personal Addresses.
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Mayor Seeks Policy Changes for Infrastructure Improvements.
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One Michigan Mayor Will Sue to Keep the State’s Property Tax on Manufacturing Equipment.
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IRS Consolidates Memos on TE/GE’s Expedited Application Process.
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IRS: Early Registration Discount Is Available for Tax Forums
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IRS Releases Publication for Public Charity Tax Compliance.
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IRS LTR: Structure Change Won’t Affect Exempt Status of Electric Power Group.
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IRS LTR: Change in Proposed Bond Use Meets Notice and Approval Requirements.
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Water Companies Request Guidance on Public-Private Partnerships.
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Womble Carlyle: Counties, Towns and Cities Still in the Cross Hairs.
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Seventh Circuit Affirms Denial of Retirement Fund’s Exempt Status.
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IRS Outlines Professional Responsibilities Under Circular 230.
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IRS Issues Interim Guidance on Using Electronic Signatures.
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IRS Corrects Dates in Regs on Streamlined Exemption Process.
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Comments Sought on Amortizable Bond Premium Regs.
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Blame It on the ROO: Form 1023-EZ and Decline of EO Determinations.
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The Affordable Care Act’s Employer Shared Responsibility Provisions – What Government Employers Need to Know.
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IRS: Revenue From Nonprofit Hospital’s Lab Services Isn’t Taxable.
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IRS LTR: IRS Grants Extension of Expenditure Period for Bond Proceeds.
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IRS LTR: Support of Organization’s Program Won’t Affect Club’s Exemption.
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Congress Should End – Not Extend – the Ban on State and Local Taxation of Internet Access Subscriptions.
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IRS Corrects Regs on Streamlined Exemption Process.
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IRS Provides Procedures for Using Form 1023-EZ.
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Final, Temporary Regs Published on Streamlined Exemption Process.
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Small Organizations Seeking Charitable Status Can Use Short Form.
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IRS LTR: Organization Not Required to Submit New Exemption Application.
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IRS LTR: State Instrumentality Granted Extension to Expend Bond Proceeds.
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GFOA: House Judiciary Committee Approves State and Local Tax Preemption Legislation.
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IRS Fed State & Local Governments – July 2014 Newsletter.
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Hogan Lovells: Fair Market Value and Uncertainty Regarding Highest and Best Use.
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IRS Memo Addresses Healthcare Credit for Small Tax-Exempt Employers.
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Court Holds FOIA Suit Seeking Forms 990 May Proceed.
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IRS LTR: Easement Sale Won’t Jeopardize Club’s Exemption.
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IRS LTR: Tax-Exempt Orgs’ LLC Is Exempt From Mortgage Pool Rules.
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EO Update: e-News for Charities & Nonprofits – June 20, 2014
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IRS Exempt Bonds Director Emphasizes Clarity and Transparency.
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FASB Won’t Require Tax Status Disclosure From Nonprofit Entities.
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Hospital Group Seeks Changes to Tax-Exempt Bond Rules.
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IRS LTR: Healthcare Organization’s Exemption Not Jeopardized by Agreement.
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‘On Behalf of’ Issuers May Issue Tribal Economic Development Bonds
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IRS LTR: Advance Refunding Bonds Won’t Become Transferred Proceeds.
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IRS Eliminates Circular 230 Covered Opinion Rules in Final Regs.
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The Tax Exemption Under Section 501(c)(4).
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FASB Hears Mixed Feedback on Nonprofit Expense Reporting.
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IRS Outlines Guidance on Internal Use Software Research. Activities.
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H.R. 4757 Would Expand Bond Exceptions for Farmers.
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IRS Rules on Tax Treatment of Cooperative’s Proposed Settlement.
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IRS LTR: Tax-Exempt Status Not Affected by Loan Servicing Activity.
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IRS LTR: Change to Board Composition Wouldn’t Affect Exempt Status.
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Illinois – Cloud Computing Receipts Characterized as Services for Sales Factor Apportionment Purposes.
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Shearman & Sterling: Litigation Heats Up in Section 1603 Cash Grant Program for Renewable Energy Projects
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S. 2345 Would Exempt Water, Sewage Facility Bonds From Cap.
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IRS LTR: VEBA’s Exemption Not Jeopardized.
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IRS Further Extends Application of Streamlined E/O Process.
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Success-Based Fee Safe Harbor Not Limited to Investment Bankers.
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District Court Holding ‘Eviscerates’ Work Product Protection.
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IRS’ TEB Office: Village Center CDD Ruling Should Be Retroactive.
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Register for the Form 990-N and 990-EZ Filing Tips Webcast.
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IRS Releases Draft Form 990-EZ for 2014.
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IRS Announces TE/GE Advisory Committee Meeting, New Members.
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Wyden’s Build America Bonds Reboot Relies on Cities: Muni Credit.
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Novogradac News Brief: Renewable Energy Tax Credits.
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EO Update: e-News for Charities & Nonprofits – May 16, 2014
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IRS LTR: IRS Extends Expenditure Period for Bond Proceeds.
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IRS LTR: Arrangements Won’t Hurt Group’s Tax-Exempt Status.
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ABA Meeting: IRS Standardizing Exempt Bond Closing Agreements.
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ABA Meeting: IRS Official Addresses Concerns About EO Form.
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Exemption Applicants Can Appeal Determinations, Koskinen Says.
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Guidance Requested on Deductibility of Water Right Contributions.
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Guidance Requested on Treatment of Charitable Contributions Costs.
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Draft of Simplified EO Application Presents Problems, Group Says.
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JCT Provides Overview of Highway Infrastructure Tax Provisions.
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EO Update: e-News for Charities & Nonprofits – May 9, 2014
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Most Future Benefits Guidance Will Come From Chief Counsel.
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Draft Version of Simplified Exemption Application Criticized.
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IRS LTR: Utility’s Normalization Calculation Is Proper.
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H.R. 4493 Would Modify Parsonage Rental Exclusion.
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Tax-Exempt Orgs Urged Not to Include SSNs on Information Returns.
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Small EOs Can Use Short Form to Seek Reinstatement of Exemption.
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IRS Could Expand Types of EOs Eligible to Use Streamlined Form.
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Wash Sales Asymmetrically Affect Premium and Discount for Debt.
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IRS LTR: IRS Rules on Treatment of Matching Gifts to Charities.
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IRS LTR: Charity’s Status Not Affected by Operating Program Abroad.
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IRS Issues Average Residential Purchase Prices.
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IRS Hopes to Publish Final Charitable Hospital Regs by Year-End.
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EO Update: e-News for Charities & Nonprofits – April 25, 2014.
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IRS Releases Draft Form 1023-EZ.
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Sign Up Now for the 2014 IRS Nationwide Tax Forums and Save Money.
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Streamlined Exemption Application Could Pose Compliance Problems.
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EO Update: e-News for Charities & Nonprofits – April 17, 2014
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Good-Faith Defense Waives Attorney-Client Privilege.
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S. 2203 Would Permanently Extend Build America Bonds.
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TE/GE Memo Limits Types of Cases Transferred for E/O Processing.
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Government Appeals Decision on Clergy Housing Allowance Exclusion.
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IRS LTR: VEBA’s Exempt Status Not Affected by Expansion of Its Membership.
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Camp Tax Reform Proposal Affects Financial Services and Transactions.
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State and Local Tax Burdens Are Falling — But Not Everywhere.
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Examiners Given Guidance on State-Chartered Credit Unions and UBIT.
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Bill Would Permanently Revive the BAB Program.
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Grassley Seeks Information on Oversight of Exempt Hospitals.
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Obama Signs Nonprofits Pension Bill.
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IRS Declines to Limit Retroactive Effect of Revocation of Exemption.
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Court Holds Document’s Privilege Was Waived in Exempt Status Suit.
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Bond Issuers Encouraged to Request Refunding Guidance.
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Bond Provisions in Camp Draft Warrant Attention.
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IRS Releases Publication Providing Guidance for Religious Groups.
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Senate Finance Committee Passes Extenders Bill.
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IRS LTR: Churches Aren’t Required to Apply for Exempt Status.
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IRS LTR: IRS Discusses Income Exclusion Relating to Public Utilities.
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Tax-Exempt Bond Group Not Affected by TE/GE Reorganization.
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H.R. 4237 Would Lift Cap on Water Facility Bonds.
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IRS LTR: Healthcare Organization Is Denied Exemption.
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IRS LTR: Management Contract Will Not Result in Private Business Use.
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IRS LTR: Lawsuit Settlement Liabilities Were Deductible Business Expenses.
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IRS Issues TE/GE Memo on Processing Some Pending Exempt Organization Applications.
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IRS to Look for Governmental Entities Disaggregating to Avoid ALE Status.
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EO Update: e-News for Charities & Nonprofits – March 20, 2014
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Comments Requested on Bond Tax Credit Form.
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IRS to Extend Deadline for Submitting Section 403(b) Preapproved Plans.
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CRS Discusses Proposals for Financing Local Water Infrastructure Projects.
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IRS Announces Realignment of Some Legal Resources in TE/GE.
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IRS Announces Shake-Ups in Chief Counsel’s Office and TE/GE.
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IRS Explains Sandwich Lease Prohibition in Rehab Tax Credit Safe Harbor.
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IRS Bars Appraisers From Valuing Facade Easements for 5 Years.
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Comments Sought on Environmental Remediation Trust Regs.
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IRS LTR: Organization Is Instrumentality of State and May Receive Contributions.
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Camp’s Proposed Deduction Floor Troubles Charities.
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Camp Reform Draft Might Spell Trouble for Student Loan Exemptions.
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Credit Union Group Urges Preservation of Tax Exemption.
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Bond Lawyers Request Meeting With Treasury to Discuss Proposed Issue Price Definition.
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IRS LTR: State Law Precludes Charitable Contribution Deductions for Easements, Tax Court Holds.
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IRS Formalizes Decision to Stop Using Labor Department Forms for Parts of Exempt Org Returns.
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BDA: Chairman Camp’s Tax Reform Draft – Analysis of Bond Provisions and Politics.
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Airport Operators Worry Tax Overhaul Would Ground Improvement Plans.
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Obama Again Proposes 28% Cap, AFF Bonds in Fiscal 2015 Budget.
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Delay of Withholding Tax on Equity-Linked Instruments Pleases Practitioners.
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Obama Budget Would Cap Deductions for Municipal Bond Interest.
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EO Update: e-News for Charities and Nonprofits – March 4, 2014.
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Proposal to Reduce Value of Charitable Deductions Resurfaces in Obama Budget.
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IRS LTR: Association’s Exemption Not Affected by Transactions with For-Profit Sub.
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Camp’s Plan Spells Trouble for Munis in Future Tax Reform Efforts.
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Camp Would Repeal Tax-Exemption for New PABs, Advance Refunding Bonds.
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Camp Draft Would End State and Local Income Tax Deduction, Bond Exclusion.
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SIFMA Raises Concerns over Muni Bond Provisions in House Republican Tax Reform Proposal.
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BDA CEO Mike Nicholas Interviewed on Bloomberg TV.
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Energy Grant Program Participants May Not Claim Tax Credits for Payments Reduced by Sequestration.
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Muni Tax Break Would Be Curbed Under House Republican’s Revamp.
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ICBA Requests Change to Capital Conservation Buffer Rules for Subchapter S Banks.
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JCT Releases Technical Explanation of Camp Exempt Group Reform Proposals.
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Obama Administration Opposes Barring IRS From Changing Tax-Exemption Requirements.
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IRS Publishes Population Figures for Housing Credit, Private Bond Purposes.
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IRS Corrects TE/GE Ruling Procedures.
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Why is the U.S. Olympic Committee Tax Exempt?
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Credit Union Federal Tax Exemption Study.
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