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r <br /> Internal Revenue Service <br /> District Director Department of the Treasury <br /> Date:• •' == • <br /> _ -t:n,pioyer rderrtiftcat►on Number: <br /> [..G JAN 291982 <br /> 59=2094472 - j <br /> Accowiting Pertod: EadinY: <br /> _. Sept4inber - 30 ; <br /> roundatidn Status panjfkatioae , <br /> p Scan America of the Treasure 509 ( a) (1) & 170(b ) (1) (A ) ( vi ) <br /> Coast , Inc . Advance Ruling Period Enda <br /> 2414 Nebrasl �a Avenue 'GSeptember ' 30; -:1983- <br /> Fort pierce , Florida 33450 Person to Contact: ' <br /> Y: ' Burleson/eb <br /> Contact Telephone Number: <br /> ( 904) 791-2636 . ::-. . <br /> FFN: 580014494 . . .. . <br /> Dear Applicant : <br /> Based ori information supplied , and assumin r <br /> g your ' operatio'ns will be as stated <br /> in your app <br /> from licatton for recognitidtt of exemption , we havd de=termined you '•are * .exempt " <br /> Federal income tax under section 501 ( c ) 0 ( 3-) of the Internal- Revenue Code-.,, <br /> Becausey'ou are a newly •crda'ted organization , we are not now making i <br /> determination of ` g a; final, <br /> Your foundation status under section 509 ( a ) or the Code.: • 'Howevsr, <br /> ,we have determined that you can reasonably be expected to be aublicl su <br /> organization described in ^section 170 (b) ( 1) 09 (a) �l)(A ) vi & 5 publicly Pported <br /> . <br /> I 4 <br /> Accdrdin <br /> g y , you will • be treated as a publicly �supported - orgahizationf3and : -not <br /> as a private foundation , : during an advance -•rdling -periods ''ThiS 'advance ruling .period <br /> begins on the date of your inception 'and ends ori the date shown- above . ! i .. S, K •s :. <br /> t <br /> Within 90 `' clays after the end of your advance - ruling-4lieriod ; °you • 'must -74ubmit to <br /> us information •needed to - determine whether you have met = the: requirements of.!the.r <br /> applicable support test during the advance ruling perfod' . If You ' establishvithatryou, <br /> have been . a publicly supported organization , you will be classified as a section <br /> 509 ( a ) ( 1 ) or 509 ( a ) ( 2 ) organization as, long as you continue to meet the requirements <br /> of the applicable support test . If you do • not meet theublic su <br /> during the advance ruling period , p pport requirements <br /> future periods . Also ; if you are classified bas da private foundation , foundation :for <br /> treated as a private foundation from the date of p You will be <br /> sections 507 ( d ) and 4940 . Your inception for purposes 'of <br /> Grantors and donors may rely on the determination that you are not a private <br /> foundation until 90 days after the end of your advance ruling period . If you submit <br /> the required information within the 90 days , grantors and donors may continue to <br /> rely on the advance determination until the Service makes a final determination of <br /> Your foundation status . However , if notice that you will no longer be treated as a <br /> section 509 ( a ) ( 1 ) organization is published in the Internal Revenue Bulletin , <br /> grantors and donors may not rely on this determination after the date of such <br /> Publication . Also , a grantor or donor may not rely on this determination if he or <br /> she was in part responsible for , or was aware of , the act or failure to act that <br /> resulted in your loss of section 509 ( a ) ( 1 ) <br /> the Internal Revenue Service had given notice thats YOU <br /> w or acquired knowledge that <br /> classification as a section 509 a you would b © removed from <br /> ) ( 1 ) organization . <br /> 275 Peachtree Street, N. E., Atlanta . GA 3004.1 ,iz _771 <br />