Laserfiche WebLink
GIFFORD YouTrT -�_CTIVJTY C= T^. p. LdC <br /> a final determination of Jour foundation status . <br /> If we publish a notice in the Internal Revenue Bulletin stating <br /> will no longer treat you as a publicly supported organizationthat we <br /> , grantors and <br /> contributors may not rely on this determination after the date we publish the <br /> notice . In addition , if you lose your status as a publicly supported organi - <br /> zation , and a grantor or contributor was responsible for , or was aware of , , the <br /> act or failure to act , that resulted in your loss of such status , that person <br /> may not rely on this determination from the date of the act or failure to act . <br /> Also , iz a grantor or contributor learned that we had given notice that you <br /> would be removed from classification as a publicly supported organization , then <br /> that person may not rely on this determination as of the date . he or she <br /> acquired such knowledge . <br /> If you change your sources of support , your purposes , character , or method <br /> of operation , please let us know so we can consider the effect of the change on <br /> your exempt status and foundation status . If you amend your organizational <br /> document or bylaws , please send us a copy of the amended document or bylaws . <br /> Also , let us know all changes in Your name or address . _ <br /> ror soca security taxes under <br /> the Federal Insurance Conttions Act on amounts of $ 100 or more <br /> each of your employees during a calendar year . r rou nay to <br /> imposed under the Federal Unemployment Tax Act ou are not liable for the tax <br /> ( FLTTA ) . <br /> Organizations that are not private foundations are not subject to the pri - <br /> vate foundation excise taxes under Chapter 42 of the Internal Revenue Code . <br /> However , you are not automatically exempt from other federal excise taxes . If <br /> You have any questions about excise , employment , or other federal taxes , please <br /> let us know . <br /> Donors may deduct contributions to you as provided in section 170 of the <br /> Internal Revenue Code . Bequests , legacies , devises , transfers , or gifts to you <br /> or for your use are deductible for Federal estate and gift tax purposes if they <br /> meet the applicable provisions of sections 2055 , 2106 , and 2522 of the Code . <br /> Donors may deduct contributions to you . onl <br /> y to the contributions are gifts , with no consideration received . at th <br /> L. �YT cketent rpurchases and <br /> similar payments in conjunction with fundraising events may not necessarily <br /> qualify as deductible contributions , depending on the circumstances . Revenue <br /> Ruling 67 - 2461 published in Cumulative Bulletin 1967 - 2 , on page 104 , gives <br /> guidelines regarding when taxpayers may deduct payments for admission to , or <br /> other participation in , fundraising activities for charity . <br /> You are not required to file Form 990 Return _ <br /> Income Tax , if your gross receipts each _rear are normallya$25a0o0nor Exempt From <br /> You receive a Form 990 package in the mail , simply attach <br /> check the box in the heading to indicate that your annual gross label provided , <br /> normally $ 25 , 000 or less , and sign the ret' g- wil _ e tri e s are <br /> return . Because you will be treated as <br /> a public charity for return filing purposes during ✓our entre advance ruling <br /> period , you should file Form 990 for each _rear 4M !.reur advance o <br /> ruling per= od <br /> Letter 110 ^ 5- ; Do / C^ ) <br />