| United States. Congress. Senate. Committee on Finance - 1974 - 434 páginas
...taxable year within such 60-month period for which it does meet such requirements. Grantors and donors may rely on the determination that you are not a private foundation for your 60-month period. However, if notice that you will no longer be treated as a section 509 (a)... | |
| United States. Congress. House. Banking and Currency Committee - 1975 - 760 páginas
...the first day of your first tax year for purposes of sections 507 (a) and 4940. Grantors and donors may rely on the determination that you are not a private foundation for your first two tax years, unless notice that you will no longer be treated as a section 509(a)... | |
| United States. Congress. House. Committee on the Judiciary. Subcommittee on Crime - 1979 - 794 páginas
...foundation from the dace of your inception for purposes of MCtioa« 507(a> and 4940. Grantors and donors may rely on the determination that you are not a private...days after the end of your advance ruling period. In addition, if you submit the required information within the 90 days, grantors and donors may continue... | |
| United States. Congress. House. Committee on the Judiciary. Subcommittee on Crime - 1979 - 792 páginas
...foundation from the date of your inception for purposes of sections S07(a) and 4940. Grantors and donors may rely on the determination that you are not a private...days after the end of your advance ruling period. In addition, if you submit the required information within the 90 days, grantors and donors may continue... | |
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