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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 IssuesForm 990 asks questi<strong>on</strong>s about joint ventures <strong>and</strong> other complexinvestments.D. Fundraising. The 2008 Governance Paper encourages charities to“adopt <strong>and</strong> m<strong>on</strong>itor” policies to ensure compliance with state <strong>and</strong> federallaws <strong>on</strong> charitable solicitati<strong>on</strong> <strong>and</strong> to see that their fundraising materialsare “accurate, truthful, <strong>and</strong> c<strong>and</strong>id.” It also encourages charities to keepcosts reas<strong>on</strong>able <strong>and</strong> to provide informati<strong>on</strong> to the public <strong>on</strong> theirfundraising costs <strong>and</strong> practices.E. Governing body minutes <strong>and</strong> records. Noting that Form 990 askswhether organizati<strong>on</strong>s keep c<strong>on</strong>temporaneous records of board <strong>and</strong>committee acti<strong>on</strong>s, the 2008 Governance Paper encourages charities tomaintain such records.F. Document retenti<strong>on</strong> <strong>and</strong> destructi<strong>on</strong>. The 2008 Governance Paperreminds charities that the Code requires a charity “to keep books <strong>and</strong>records that are relevant to its tax exempti<strong>on</strong> <strong>and</strong> its filings with theInternal Revenue Service” <strong>and</strong> reminds them that Form 990 now askswhether filers have a written document retenti<strong>on</strong> <strong>and</strong> destructi<strong>on</strong> policy.The Paper identifies the issues that such a policy should cover.G. Ethics <strong>and</strong> whistleblower policy. The 2008 Governance Paperencourages boards to adopt a code of ethics as a way of promoting aculture of legal compliance. It also encourages boards to adopt <strong>and</strong>implement whistleblower policies to enable employees “to report inc<strong>on</strong>fidence any suspected financial impropriety or misuse of the charity’sresources.” It notes that Form 990 asks whether filing organizati<strong>on</strong>sbecame aware of any material diversi<strong>on</strong> of assets <strong>and</strong> whether they havea written whistleblower policy.Topic 5: Financial Statements <strong>and</strong> Form 990 ReportingThe 2008 Governance Paper acknowledges that although state law or n<strong>on</strong>-taxfederal law may require a charity to have audited financial statements, federal taxlaw does not impose such a requirement. However, charities “with substantialassets or revenue should c<strong>on</strong>sider” engaging an independent auditor to preparean audit of its financial statements <strong>and</strong> establishing an independent auditcommittee to oversee the process. With regard to Form 990, the 2008Governance Paper notes that although the Code does not require it, “someorganizati<strong>on</strong>s provide copies of the IRS Form 990 to its governing body <strong>and</strong> otherinternal governance or management officials,” either before or after it is filed.The Paper reminds charities that Form 990 asks whether the charity provides acopy of Form 990 to its governing body <strong>and</strong> to explain how directors ormanagement review it.Topic 6: Transparency <strong>and</strong> AccountabilityADVISORY COMMITTEE ON TAX EXEMPT AND GOVERNMENT ENTITIES (<strong>ACT</strong>) June 11, 2008 103

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