Private Foundations Before and After the Tax Reform Act of 1969 |
Contents
RODUCTION | 1 |
ERAL INCOME TAX EXEMPTION | 9 |
NGRESSIONAL INTEREST IN FOUNDATIONS | 15 |
Copyright | |
2 other sections not shown
Common terms and phrases
20 percent 91st Congress abuses act of self-dealing activities administrative American Enterprise Institute amount applicable percentage apply assets chapter 42 charitable organizations charitable purposes charitable trusts congressional contributions corporation Cox Committee dation defined described in section disqualified person donor educational effect enacted enterprise excess business holdings excise tax exempt organizations exempt purposes expenses Federal Income Tax foundation manager foundation's funds government officials grants gross income House of Representatives income tax exemption institutions interest Internal Revenue Code Internal Revenue Service investment income jeopardizing investment legislation ment minimum investment return Moreover operating foundation payment payout Peterson Commission report philanthropic foundations private foun private foundation private philanthropy problems programs provisions qualifying distributions reasonable recommended Reece Committee Revenue Act rules Senate specific status tax laws Tax Reform Act taxable expenditure taxable years beginning Taxation tions Treasury report U.S. Congress unrelated business income voluntary association voting power
References to this book
Beyond Altruism: Social Welfare Policy in American Society, Issue 3 Willard C. Richan Limited preview - 1987 |