Content area

Abstract

In Ltr. Rul. 200421010, the IRS recently gave guidance on the transfer of assets from a charitable trust to a nonprofit charitable corporation, with certain shared resources as part of the plan. The IRS determined that shared office resources, allocated at fair market value, did not result in a Section 4958 excess benefit transaction.

Details

Title
No Excess Benefit In Private Foundations' Expense Sharing Arrangement
Author
Anonymous
Pages
5
Publication year
2004
Publication date
May 27, 2004
Publisher
CCH Incorporated: Federal and State Tax
ISSN
01623486
Source type
Trade Journal
Language of publication
English
ProQuest document ID
218048725
Copyright
Copyright CCH Incorporated: Federal and State Tax May 27, 2004