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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 Issuespractices <strong>and</strong> policies are not useful for organizati<strong>on</strong>s in providing a structure thatassists them in their decisi<strong>on</strong>-making <strong>and</strong> operati<strong>on</strong>al processes. Rather, we believethat respect for the diverse <strong>and</strong> evolving nature of the n<strong>on</strong>profit sector requires that wec<strong>on</strong>tinue to value flexibility in our expectati<strong>on</strong>s of the specific governance practices thatmay be essential to the health of the sector. Thus, we support the aut<strong>on</strong>omy of anorganizati<strong>on</strong>’s governing body <strong>and</strong> its exercise of its business judgment as to what bestreflects the needs of its organizati<strong>on</strong>.Regulati<strong>on</strong> <strong>and</strong> Self-Regulati<strong>on</strong> of N<strong>on</strong>profit Governance Outside of the IRS. Oneof the issues that arises is whether there is a need for the IRS to be more involved inn<strong>on</strong>profit governance bey<strong>on</strong>d the specific statutory requirements in the tax laws.N<strong>on</strong>profit organizati<strong>on</strong>s can be regulated by many—<strong>and</strong> sometimes c<strong>on</strong>flicting—authorities. Because n<strong>on</strong>profit organizati<strong>on</strong>s are established under state law, stateshistorically have had the principal resp<strong>on</strong>sibility <strong>and</strong> greatest authority to regulate in thearea. Organizati<strong>on</strong>s with offices in more than <strong>on</strong>e state or that solicit c<strong>on</strong>tributi<strong>on</strong>s inmultiple jurisdicti<strong>on</strong>s may be subject to the laws of a number of states. There also areindustry-specific accreditati<strong>on</strong> agencies, st<strong>and</strong>ards relating to participati<strong>on</strong> in particularmembership groups, <strong>and</strong> innumerable voluntary st<strong>and</strong>ards <strong>and</strong> publicati<strong>on</strong>s fromleading organizati<strong>on</strong>s regarding n<strong>on</strong>profit governance. Because large, sophisticated,<strong>and</strong> complex organizati<strong>on</strong>s are subject to regulati<strong>on</strong> <strong>and</strong>/or are accredited <strong>and</strong>, in anyevent, have numerous governance resources available to them, it is less clear what theIRS adds to the governance discussi<strong>on</strong> in their case. C<strong>on</strong>versely, while smaller <strong>and</strong>more rural organizati<strong>on</strong>s have less governance resources available to them, there is agreater need to tread lightly because of the burdens flowing from encouragingunnecessarily extensive governance reforms, the fact that the costs of adopting certainpractices simply may not be worth the benefits, <strong>and</strong> the reality that the costs ofgovernance will c<strong>on</strong>sume charitable assets that could otherwise be devoted to theorganizati<strong>on</strong>s’ programs. Finally, while disclosure <strong>and</strong> transparency, facilitated by thepublic availability of Forms 990 <strong>and</strong> 1023, undeniably play an influential role inencouraging appropriate n<strong>on</strong>profit governance, they have limitati<strong>on</strong>s.Role of IRS/Treasury in Governance Involving <strong>Tax</strong>-<strong>Exempt</strong> Organizati<strong>on</strong>s. TheIRS has sought, to varying extents, to promote good governance practices in each of itsfive points of c<strong>on</strong>tact with tax-exempt organizati<strong>on</strong>s: in creating st<strong>and</strong>ards forexempti<strong>on</strong>; <strong>on</strong> determinati<strong>on</strong> of exempti<strong>on</strong>; <strong>on</strong> examinati<strong>on</strong> or in other complianceinitiatives; in 990 reporting; <strong>and</strong> in educati<strong>on</strong> <strong>and</strong> outreach. Our report reviews each inturn to identify how governance is involved <strong>and</strong> to highlight some c<strong>on</strong>cerns.Governance Issues <strong>on</strong> St<strong>and</strong>ards for <strong>Exempt</strong>i<strong>on</strong>. While C<strong>on</strong>gress has not required theadopti<strong>on</strong> of specific governance practices as a c<strong>on</strong>diti<strong>on</strong> for exempti<strong>on</strong> under secti<strong>on</strong>501(c)(3), there are a limited number of situati<strong>on</strong>s where the IRS has m<strong>and</strong>ated specificgovernance practices as a c<strong>on</strong>diti<strong>on</strong> for exempti<strong>on</strong> in precedential (sometimes n<strong>on</strong>precedential)rulings <strong>and</strong> other documents. Most of these arise in the health care arena,although the IRS requires a c<strong>on</strong>flict of interest policy in certain low-income housing jointventures. We appreciate that in the quickly-changing field of health care it can, in someinstances, be difficult to distinguish a health care organizati<strong>on</strong> that qualifies forexempti<strong>on</strong> from <strong>on</strong>e that is merely the for-profit practice of medicine or a health-relatedADVISORY COMMITTEE ON TAX EXEMPT AND GOVERNMENT ENTITIES (<strong>ACT</strong>) June 11, 2008 2

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