The Mudcat Café TM
Thread #24663   Message #709001
Posted By: GUEST,Not the same, one last time
11-May-02 - 03:12 PM
Thread Name: Can we have some Mudcat accounts?
Subject: RE: Can we have some Mudcat accounts?
Consider this one a public service announcement.

From the excellent Nonprofit FAQ site:

http://www.nonprofits.org/npofaq/16/47.html

How must NPOs respond to public requests for 990s?

Summary: New laws and regulations greatly expand public access. They took effect June 8, 1999.

by Eric Mercer

There has recently been significant expansion of the federal laws and regulations requiring tax-exempt organizations to provide public access to documents they submit to the IRS, including annual tax returns (Form 990 and its relatives) and their Application for Recognition of Exemption (Form 1023). In January 1999, the IRS is releasing new regulations that implement Section 1313 of the Taxpayer Bill of Rights 2 (TBOR2), enacted on July 30, 1996. Furthermore, these new public access requirements have been expanded to include private foundations.

(The complete texts of the Federal Register notice and the regulations are available at http://990online.com/fr-doc-99-8638.html. The effective date of the new regulations is June 8, 1999. There is also a practical discussion of how nonprofits should approach making the required disclosures at http://www.nonprofits.org/bulletins/990508.html --PB 5/21/99.)

In short, almost all tax-exempt organizations are now required to provide public access in a timely fashion to their most recent three years of federal tax returns and to their original Application for Recognition of Exemption. These must be complete, including From 990 Schedule A and all other accompanying materials submitted to the IRS, with the sole exception of those attachments that name individual donors. A very narrow exception is also made for organizations the IRS determines are being subject to a harassment campaign. There are significant fines for noncompliance.

Generally speaking, people who visit one of the tax-exempt organization's offices and ask for these materials must be provided with the opportunity to view and copy them, and tax-exempt organizations must send copies of these materials by mail upon request. Minor fees for copying, postage and other processing may be assessed. An exception to these required access mechanisms is made if the organization makes the materials "widely available," which may be satisfied by publishing them on the Internet in a suitable format.

A discussion of the regulations, links to the original laws and regulations, examples of online tax returns, and other related resources, may be found at the U.S. Nonprofit Organization's Form 990 and 1023 Public Access Site http://www.muridae.com/publicaccess/. Other related sites include the Form 990 Web Site http://www.form990.org/, the AIDS Service Provider Accountability Project http://www.accountabilityproject.com/, and GuideStar http://www.guidestar.org/.