📄 Extracted Text (709 words)
V Grants to Organizations from Donor Advised Funds: Is Expenditure
COUNCIL on FOUNDATIONS Responsibility Required?
I Is the grantee a Section 501(c)(3)
organization? Is the grantee a Grant is not to a charity
No unit of No
or governmental unit.
Sources for determination: government? Expenditure
• IRS Publication 78 responsibility required.
• IRS Business Master File
• IRS Letter of Determination
• Third-party provider' Yes
K
[ Expenditure esponsibility
not required.
Yes
Is the grantee a private foundation? Is the grantee a Section 509(a)(1) Is the grantee a Section 509(a)(4)
or 509(a)(2) public charity? public charity?
Sources for determination: The grantee is a
• IRS Publication 78 Sources for determination: Sources for determination: Section 509(a)(3)
No No No
• IRS Business Master File
--0.
• IRS Business Master File • IRS Business Master File supporting
• IRS Letter of Determination • IRS Letter of Determination organization.***
• IRS Letter of Determination
• Third-party provider' • Third-party provider* Continue analysis on
• Third-party provider' next chart.
K
Yes Yes I Yes
' A sponsoring organization may rely on a
Expenditure responsibility Expenditure esponsibility third-party provider if the provider pulls the
Is the grantee a private operating information from the most currently
foundation under Section 4942(j)(3)? not required. required.
available monthly update to the business
master file. and the sponsoring
Sources for determination: organization retains a report with particular
• IRS Publication 78 required information.
Grant is to a private non-operating
No '[
• IRS Business Master File • The Council on Foundations continues to
• IRS Letter of Determination foundation. Expenditure responsibility
required.** recommend against grants to private non-
• Third-party provider' operating foundations from donor advised
funds.
1 Yes • The information from the IRS Business
Master File. IRS Letter of Determination or
Third-party provider should confirm this
Expenditure esponsibility classification. If not. additional information
not required. will need to be collected for clarification.
EFTA00674730
Grants to Section 509(a)(3) Organizations (Supporting Organizations) from
COUNCIL on FOUNDATIONS
Donor Advised Funds: Is Expenditure Responsibility Required?
Is the supporting organization a Type
or Type II supporting organization?
K Is the organization that the
Sources for determination: grantee supporting organization
• IRS Letter of Determination* Yes supports controlled directly or
-0. indirectly by the donor, advisor.
• Written opinion of counsel
or related party? (Note that an
• Written representation from grantee
organization may have multiple
combined with sponsoring
supported organizations.)
organization review of supporting
organization's governing document
Sources for determination:
1 • No IRS guidance provides a
No clear method for making this
determination. Yes Expenditure responsibility 1
•
required.
K The supporting organization is a Type • The question to investigate is
whether the donor, advisor or
III. Is the Type III supporting related parties may. separately
organization functionally integrated? or by aggregating their votes or
positions or authority, require a
Sources for determination: supported organization to
• IRS Letter of Determination* Yes make an expenditure or
fr.
• Written opinion of counsel prevent a supported
• Written representation from grantee organization from making an
combined with sponsoring expenditure. • Some IRS letters of determination
organization review of supporting will include a determination of
supporting organization Type.
organization's governing documents
and written representations from
K However. most letters will not.
Another method of determination
each supported organization No will be required if the IRS letter of
♦
K Expenditure esponsibility
determination does not explicitly
provide a determination of Type or.
not required. in the case of a Type III. whether
No the organization is functionally
integrated.
Expenditure responsibility
required.
The information provided here is based on our continuing analysis of the Pension Protection Act. Every effort has been made to ensure accuracy of
these documents. Please understand, however, that due to the complexity of the law and the fact that many of these provisions introduce issues that are
new to the Internal Revenue Code, this information is subject to change. The information is not a substitute for expert legal, tax or other professional
advice and we strongly encourage grantmakers and donors to work with their counsel to determine the impact of this legislation on their particular
situations. This information may not be relied upon for the purposes of avoiding any penalties that may be imposed under the Internal Revenue Code.
EFTA00674731
ℹ️ Document Details
SHA-256
e23151eeeb3de8c1dcb06a84b1d4cb92619d1e2b3672397207b378c577a30147
Bates Number
EFTA00674730
Dataset
DataSet-9
Document Type
document
Pages
2
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