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Advisory Committee on Tax Exempt and Government Entities (ACT ...

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The Appropriate Role Of The Internal Revenue Service With Respect To <strong>Tax</strong>-<strong>Exempt</strong> Organizati<strong>on</strong> Good Governance Issuesappears to be c<strong>on</strong>trol [sic] by <strong>and</strong> for the <strong>on</strong>e pers<strong>on</strong> board, officer, researcher <strong>and</strong>staff.” 119We appreciate we have <strong>on</strong>ly anecdotal evidence regarding governance issues in thedeterminati<strong>on</strong> process. It is, however, our impressi<strong>on</strong> that the “when” <strong>and</strong> “what” areunclear <strong>and</strong> not uniformly applied. We are c<strong>on</strong>cerned about the IRS having this level ofdiscreti<strong>on</strong> in cajoling or requiring specific governance process, particularly in thedeterminati<strong>on</strong> phase, where there usually is no track record evidencing operati<strong>on</strong>alfailures.D. Governance Issues Involving Form 990 DisclosureThere has been an evoluti<strong>on</strong> over the last 66 years in the IRS’s interest in what wewould today characterize as n<strong>on</strong>profit governance as evidenced in the Form 990,Return of Organizati<strong>on</strong> <strong>Exempt</strong> from Income <strong>Tax</strong>. The Form 990 has grown from twopages (1942 Form 990) to an eleven-page core form with Schedules A through R for2008. On the 1942 Form 990, two officers were required to sign an affidavit. Thisversi<strong>on</strong> of the form c<strong>on</strong>tains <strong>on</strong>ly three questi<strong>on</strong>s about the exempt organizati<strong>on</strong>,including “have your articles of incorporati<strong>on</strong> or by-laws or other instruments of similarimport been amended since your last return was filed, if so attach a copy.” In reviewingthe Forms 990 since 1960, we see increased inquiry in areas directly related toinurement <strong>and</strong> the operati<strong>on</strong>al test. Over time, these governance-type inquiries havebecome more attenuated to the tax laws, presumably <strong>on</strong> the assumpti<strong>on</strong> that goodgovernance practices in a general sense result in more likely tax compliance. Appendix5 summarizes our analysis of the changing nature of the Form 990. We agree with thec<strong>on</strong>clusi<strong>on</strong> in the 2006 <strong>ACT</strong> report that the Form 990 should be “designed primarily toassess whether the filer is complying with federal tax requirements.” 120The draft redesigned Form 990 for 2008 includes numerous governance questi<strong>on</strong>s,principally in the Part VI “Governance, Management <strong>and</strong> Disclosure” secti<strong>on</strong> of the coreform. The Commissi<strong>on</strong>er for TE/GE has, in fact, characterized this governance secti<strong>on</strong>as “the crown jewel” of the IRS’s activity in the n<strong>on</strong>profit governance area over the pastyear. 121 The principal governance additi<strong>on</strong>s in the redesigned Form 990 include (butare not limited to) disclosure of the following:119Id. at 8. After discussing the absence of c<strong>on</strong>crete activities disclosed, the court stated: “Because petiti<strong>on</strong>er’s applicati<strong>on</strong> lackedproposals for tangible facilities, detailed plans, <strong>and</strong> criteria for selecting activities, <strong>and</strong> because petiti<strong>on</strong>er was c<strong>on</strong>trolled by Mr.Anders<strong>on</strong>, resp<strong>on</strong>dent rightfully c<strong>on</strong>cluded that he required additi<strong>on</strong>al informati<strong>on</strong> before issuing a determinati<strong>on</strong>….” Id. at 13-14.120Policies <strong>and</strong> Guidelines for Form 990 Revisi<strong>on</strong>, June 7, 2006, http://www.irs.gov/pub/irs-tege/tege_act_rpt5.pdf, at 1, 23. Whilewe believe that governance questi<strong>on</strong>s <strong>on</strong> the Form 990 are appropriate subject to the limitati<strong>on</strong>s set forth in the 2006 <strong>ACT</strong> report<strong>and</strong> this report, we are mindful of GuideStar’s comments about the draft redesigned Form 990: “The redesigned Form 990,however, goes bey<strong>on</strong>d informati<strong>on</strong> required by the Internal Revenue Code or the underlying regulati<strong>on</strong>s. Although tax-exemptorganizati<strong>on</strong>s should certainly be cognizant of best practices, what an organizati<strong>on</strong> does with regard to them is a business judgmentmatter for the organizati<strong>on</strong>—<strong>and</strong> its d<strong>on</strong>ors—rather than an issue for tax administrati<strong>on</strong>. Devoting space <strong>on</strong> the Form 990 toimmaterial informati<strong>on</strong> diverts attenti<strong>on</strong> from true issues of tax compliance.” Letter from Robert Ottenhoff, President <strong>and</strong> ChiefExecutive Officer, GuideStar to Lois Lerner, Director, <strong>Exempt</strong> Organizati<strong>on</strong>s Divisi<strong>on</strong>, Sept. 14, 2007, http://www.irs.gov/pub/irstege/redesignedform990commentsgeneral_9_14_07_i.pdf,at 106, 107.121Remarks of Steven T. Miller, supra note 24.ADVISORY COMMITTEE ON TAX EXEMPT AND GOVERNMENT ENTITIES (<strong>ACT</strong>) June 11, 2008 35

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