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IRS can’t withdraw publication of previous ruling

IRS can’t withdraw publication of previous ruling

IRS can’t withdraw publication of previous ruling

The Internal Revenue Service does not have the statutory power to withdraw a previously issued letter revoking the charitable status of a nonprofit organization or the accompanying report that spelled out the reasons for the decision. The Tax Court has denied the request from an organization that reached a settlement with the IRS that involved withdrawing the original notice and issuance of a new one. An organization lost its 501(c)(3) exempt status retroactively after an IRS investigation. The original revocation letter was accompanied by a report that included a statement that the organization’s activities resulted in substantial private benefit. The organization objected to the action...

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