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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 Issues(11)(12)II.C<strong>on</strong>sistency <strong>and</strong> Fair Treatment are Critical.Educati<strong>on</strong>, Implemented Thoughtfully, Is More Appropriate Than PressuringChange.STATEMENT OF THE PROBLEM AND THE PROJECT OBJECTIVESA. ProblemRecently, the IRS has become increasingly involved in seeking to promote “goodgovernance” practices across the tax-exempt sector based <strong>on</strong> its belief that a wellgovernedorganizati<strong>on</strong> is more likely to be compliant <strong>and</strong> that good governance alsoallows for self-identificati<strong>on</strong> <strong>and</strong> resoluti<strong>on</strong> of problems. We acknowledge the IRS’sl<strong>on</strong>gst<strong>and</strong>ing stake <strong>and</strong> legitimate interest in governance issues as they relate directly tocompliance with the laws under its jurisdicti<strong>on</strong>. However, the efficacy of specificgovernance practices is unproven; <strong>and</strong> the IRS merely asking about specificgovernance practices is a powerful force that can drive behavior. Charities can feelpressured to adopt the specified practices even where it is inadvisable in their situati<strong>on</strong>because they believe the IRS or others will c<strong>on</strong>sider them poorly governed if they fail todo so. This then can effectively usurp the judgment of their governing boards indetermining what governance practices make sense in their individual c<strong>on</strong>texts, placeundue burdens <strong>on</strong> organizati<strong>on</strong>s, divert their attenti<strong>on</strong> to proxies for governance insteadof actual governance, <strong>and</strong> adversely impact the unique, diverse, vibrant, <strong>and</strong> flexiblecharitable sector in this country. Accordingly, we believe that cauti<strong>on</strong> is critical whenseeking to promote specific governance practices.B. ObjectiveThe objective of this report is to provide a framework that will assist the IRS as it seeksto balance the desirability of promoting good governance against the potentialdeleterious c<strong>on</strong>sequences to the sector.III. PROCESS<strong>ACT</strong> members obtained informati<strong>on</strong> <strong>and</strong> perspectives about governance issues <strong>and</strong>practices through interviews with IRS <strong>and</strong> Treasury staff, charities’ experts in stateattorneys general offices, academics, <strong>and</strong> practiti<strong>on</strong>ers in the field (including exemptorganizati<strong>on</strong> <strong>and</strong> other attorneys, accountants that work with n<strong>on</strong>profit organizati<strong>on</strong>s,those involved with the promoti<strong>on</strong> of voluntary st<strong>and</strong>ards in the n<strong>on</strong>profit sector, <strong>and</strong>other experts <strong>and</strong> stakeholders). The interviews explored the history of the IRS’sinvolvement in governance issues with respect to exempt organizati<strong>on</strong>s, any empiricalevidence regarding the efficacy of specific governance practices, <strong>and</strong> the interviewees’perspectives <strong>on</strong> what is meant by good governance <strong>and</strong> the appropriate role of the IRSin this area.<strong>ACT</strong> members also benefited from the perspectives of many more professi<strong>on</strong>als <strong>and</strong>practiti<strong>on</strong>ers through their participati<strong>on</strong> in two mini-c<strong>on</strong>ferences c<strong>on</strong>vened at thesuggesti<strong>on</strong> of the <strong>ACT</strong>:ADVISORY COMMITTEE ON TAX EXEMPT AND GOVERNMENT ENTITIES (<strong>ACT</strong>) June 11, 2008 6

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