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New Revenue Procedure Provides Guidance for Tax-Exempt OrganizationsNew Revenue Procedure Provides Guidance for Tax-Exempt Organizations

Rev. Proc. 2024-22 relates to organizational requirements and exempt purposes.

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To qualify for Internal Revenue Code Section 501(c)(3) tax-exempt status, organizations must ensure that, on dissolution, any remaining assets are distributed for exempt purposes, as opposed to benefiting individuals. Organizations can either establish a qualifying distribution plan in their controlling documents or rely on the operation of state law to meet federal requirements. An organization’s assets will be considered dedicated to an exempt purpose, if, on dissolution, such assets are distributed: (1) for one or more exempt purposes, (2) to the federal government, (3) to a state or local government, (4) for a public purpose, or (5) by a court to another organization for the dissolving organization’s general purposes.

The Internal Revenue Service reemphasized this crucial point in Revenue Procedure 2024-22. The previous guidelines, Rev. Proc. 82-2, were based on state law and provided a breakdown of the varying outcomes based on different state laws. However, as state laws changed, Rev. Proc. 82-2 was becoming outdated and unwieldy. The new revenue procedure revokes the prior guidelines, highlights the importance of compliance and provides resources for properly drafting controlling documents without all the state-by-state examples. If relying on applicable state law rather than creating a qualifying distribution plan, each organization must verify that the requirements are satisfied.

About the Authors

David A. Handler

 

David A. Handler is a partner in the Trusts and Estates Practice Group of Kirkland & Ellis LLP.  David is a fellow of the American College of Trust and Estate Counsel (ACTEC), a member of the NAEPC Estate Planning Hall of Fame as an Accredited Estate Planner (Distinguished), and a member of the professional advisory committees of several non-profit organizations, including the Chicago Community Trust, The Art Institute of Chicago, The Goodman Theatre, WTTW11/98.7WFMT (Chicago public broadcasting stations) and the American Society for Technion - Israel Institute of Technology. He is among a handful of trusts & estates attorneys featured in the top tier in Chambers USA: America's Leading Lawyers for Business in the Wealth Management category, is listed in The Best Lawyers in America and is recognized as an "Illinois Super Lawyer" bySuper Lawyers magazine. The October 2011 edition of Leading Lawyers Magazine lists David as one of the "Top Ten Trust, Will & Estate" lawyers in Illinois as well as a "Top 100 Consumer" lawyer in Illinois. 

He is a member of the Tax Management Estates, Gifts and Trusts Advisory Board, and an Editorial Advisory Board Member of Trusts & Estates Magazine for which he currently writes the monthly "Tax Update" column. David is a co-author of a book on estate planning, Drafting the Estate Plan: Law and Forms. He has authored many articles that have appeared in prominent estate planning and taxation journals, magazines and newsletters, including Lawyer's Weekly, Trusts & Estates Magazine, Estate Planning Magazine, Journal of Taxation, Tax Management Estates, Gifts and Trusts Journal. He is regularly interviewed for trade and news periodicals, including The Wall Street Journal, The New York Times, Lawyer's Weekly, Registered Representative, Financial Advisor, Worth and Bloomberg Wealth Manager magazines. 

David is a frequent lecturer at professional education seminars. David concentrates his practice on trust and estate planning and administration, representing owners of closely-held businesses, principals of private equity/venture capital/LBO funds, executives and families of significant wealth, and establishing and administering private foundations, public charities and other tax-exempt entities. 

David is a graduate of Northwestern University School of Law and received a B.S. Degree in Finance with highest honors from the University of Illinois College of Commerce.

Alison E. Lothes

Partner, Gilmore, Rees & Carlson, P.C.

http://www.grcpc.com

 

Alison E. Lothes is a partner at Gilmore, Rees & Carlson, P.C., located in Wellesley, Massachusetts. Ms. Lothes focuses on estate planning for high net worth individuals including estate, gift and generation-skipping transfer tax planning, will and trust preparation, estate and trust administration, and charitable giving.  Ms. Lothes previously practiced at Kirkland & Ellis LLP (Chicago, Illinois) and Sullivan & Worcester LLP (Boston, Massachusetts).