Abstract

AbstractIRS Formalizes Reliance Criteria for Foundations, Sponsoring OrganizationsAgreement Reached on Processing TAS Exempt Organizations CasesOnline “Seminary” Fails to Qualify for Exemption, Church StatusMinisters in Teaching, Administrative Positions Held Eligible for Parsonage AllowanceAHP Offers Comments on Health Care ReformGAO: Massive Misreporting of Cash Charitable ContributionsPhilanthropic Group Opposes Charitable Deduction CapEasement Valued for Charitable Deduction PurposesForm 5227 is RedesignedAnalysis Asserts Exemption, Deduction not Government SubsidiesOther Developments

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