Organizations Lose Charitable Donee Status
Announcement 2017-2; 2017-10 IRB 1009
- Institutional AuthorsInternal Revenue Service
- Code Sections
- Subject Area/Tax Topics
- Jurisdictions
- LanguageEnglish
- Tax Analysts Document NumberDoc 2017-2905
- Tax Analysts Electronic Citation2017 TNT 42-20
Part IV. Items of General Interest
Table of Contents
The Internal Revenue Service has revoked its determination that the organizations listed below qualify as organizations described in sections 501(c)(3) and 170(c)(2) of the Internal Revenue Code of 1986.
Generally, the IRS will not disallow deductions for contributions made to a listed organization on or before the date of announcement in the Internal Revenue Bulletin that an organization no longer qualifies. However, the IRS is not precluded from disallowing a deduction for any contributions made after an organization ceases to qualify under section 170(c)(2) if the organization has not timely filed a suit for declaratory judgment under section 7428 and if the contributor (1) had knowledge of the revocation of the ruling or determination letter, (2) was aware that such revocation was imminent, or (3) was in part responsible for or was aware of the activities or omissions of the organization that brought about this revocation.
If on the other hand a suit for declaratory judgment has been timely filed, contributions from individuals and organizations described in section 170(c)(2) that are otherwise allowable will continue to be deductible. Protection under section 7428(c) would begin on March 6, 2017 and would end on the date the court first determines the organization is not described in section 170(c)(2) as more particularly set for in section 7428(c)(1). For individual contributors, the maximum deduction protected is $1,000, with a husband and wife treated as one contributor. This benefit is not extended to any individual, in whole or in part, for the acts or omissions of the organization that were the basis for revocation.
NAME OF Effective Date
ORGANIZATION of Revocation LOCATION
______________________________________________________________________________
Palms Residential
Care Facility 1/1/2012 Los Angeles, CA
Albina Youth Opportunity
School, Inc. 7/1/2013 Portland, OR
Peoples Communication, Inc. 1/1/2014 New York, NY
East Alabama Community Development
Corporation 10/1/2012 Anniston, AL
Marion Shooters Club 1/1/2014 Marion, MT
Brownsville Board of Realtors
Educational Foundation 1/1/2012 Brownsville, TX
The Adam Project, Inc. 1/1/2014 Dayton, OH
Friendly Earth, Inc. 1/1/2013 Seattle, WA
Wise Business Association, Inc. 1/1/2014 Wise, VA
Arizona Latin Association
Community Productions 1/1/2013 Tolleson, AZ
Logansport Burmese Community, Inc. 1/1/2014 Logansport, IN
Banditos Baseball Club 9/18/2014 Katy, TX
Kelly Enterprise, Inc. 1/1/2014 Baltimore, MD
NABA-Elite, Inc. 1/1/2014 Santa Fe Springs, CA
Dr. Zachery Tims Enrichment Center
Inc. 1/1/2014 Windermere, FL
- Institutional AuthorsInternal Revenue Service
- Code Sections
- Subject Area/Tax Topics
- Jurisdictions
- LanguageEnglish
- Tax Analysts Document NumberDoc 2017-2905
- Tax Analysts Electronic Citation2017 TNT 42-20