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Joint Ventures Involving Tax-Exempt Organizations
US $40.61
ApproximatelyRM 172.03
Condition:
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A book that has been read but is in good condition. Very minimal damage to the cover including scuff marks, but no holes or tears. The dust jacket for hard covers may not be included. Binding has minimal wear. The majority of pages are undamaged with minimal creasing or tearing, minimal pencil underlining of text, no highlighting of text, no writing in margins. No missing pages.
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Located in: North Smithfield, Rhode Island, United States
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eBay item number:135985772305
Item specifics
- Condition
- Release Year
- 2007
- Book Title
- Joint Ventures Involving Tax-Exempt Organizations
- ISBN
- 9780470037614
About this product
Product Identifiers
Publisher
Wiley & Sons, Incorporated, John
ISBN-10
047003761X
ISBN-13
9780470037614
eBay Product ID (ePID)
6038316165
Product Key Features
Number of Pages
960 Pages
Language
English
Publication Name
Joint Ventures Involving Tax-Exempt Organizations
Publication Year
2007
Subject
Nonprofit Organizations & Charities / Finance & Accounting, Corporate, General, Nonprofit Organizations & Charities / General
Features
Revised
Type
Textbook
Subject Area
Law, Business & Economics
Series
Wiley Nonprofit Law, Finance and Management Ser.
Format
Hardcover
Dimensions
Item Height
1.9 in
Item Weight
0.1 Oz
Item Length
10 in
Item Width
7.3 in
Additional Product Features
Edition Number
3
Intended Audience
Scholarly & Professional
Dewey Edition
23
Series Volume Number
222
Illustrated
Yes
Dewey Decimal
343.73066
Table Of Content
Acknowledgments. Preface. Chapter one: Introduction: Joint Ventures Involving Exempt Organizations Generally. 1.1 Introduction. 1.2 Joint Ventures in General. 1.3 Healthcare Joint Ventures. 1.4 University Joint Ventures. 1.5 Low-Income Housing Joint Ventures. 1.6 Conservation Joint Ventures. 1.7 Joint Ventures as Accomodating Parties to Impermissible Tax Shelters. 1.8 Joint Venture Structure. 1.9 The Exempt Organization in a Joint Venture: Rev. Rul. 98-15. 1.10 Ancillary Joint Ventures: Rev. Rul. 2004-51. 1.11 The Exempt Organization as Limited Partner or Non-Managing Member. 1.12 Partnerships with Other Exempt Organizations. 1.13 Transfer of Control of Supporting Organization to Another Tax-Exempt Organization. 1.14 The Exempt Organization as a Lender or Ground Lessor. 1.15 Partnership Taxation. 1.16 UBIT Implications From Partnership Activities. 1.17 Use of a Subsidiary as Participant in a Joint Venture. 1.18 Limitation on Preferred Returns. 1.19 Sharing Staff and/or Facilities: Shared Services Agreement. 1.20 "Intangibles" Licensed by Nonprofit to For-Profit Subsidiary or Joint Venture. 1.21 Private Inurement and Private Benefit. 1.22 Limitation on Private Foundation's Activities that Limit Excess Business Holdings. 1.23 International Joint Ventures. 1.24 Other Developments. Chapter Two: Taxation of Charitable Organizations. 2.1 Introduction. 2.2 Categories of Exempt Organizations. 2.3 Section 501(c) Organizations: Structural Elements. 2.4 Statutory Requirements. 2.5 General Requirements. 2.6 Charitable Organizations. 2.7 Structure of the IRS. 2.8 Application for Exemption. 2.9 Reporting Requirements. 2.10 The IRS Audit. 2.11 Charitable Contributions. 2.12 Car Donation Programs. 2.13 Sarbanes-Oxley and Exempt Organizations. 2.14 State Laws. Chapter Three: Taxation of Partnerships and Joint Ventures. 3.1 Scope of Chapter. 3.2 Qualifying as a Partnership. 3.3 Classification as Partnership. 3.4 Alternatives to Partnerships. 3.5 Pass-Through Regime: The Conduit Concept. 3.6 Allocation of Profits, Losses, and Credits. 3.7 Formation of Partnership. 3.8 Tax Basis in Partnership Interests. 3.9 Partnership Operations. 3.10 Partnership Distributions to Partners. 3.11 Sale or Other Disposition of Assets or Interests. 3.12 Other Tax Issues. Chapter Four: Overview: Joint Ventures Involving Exempt Organizations. 4.1 Introduction. 4.2 Exempt Organization as General Partner: A Historical Perspective. 4.3 Exempt Organizations as Limited Partner or LLC Non-Managing Member. 4.4 Joint Ventures with Other Exempt Organizations. 4.5 New Scheme for Analyzing Joint Ventures. 4.6 Revenue Ruling 2004-51 and Ancillary Joint Ventures. 4.7 UBIT Implications from Joint Venture Activities. 4.8 Use of a Subsidiary as Participant in a Joint Venture. 4.9 Use of a Supporting Organization in a Joint Venture. 4.10 The IRS Audit. 4.11 Conversions from Exempt to For-Profit and from For-Profit to Exempt Entities. 4.12 Exempt Organization as Lender or Ground Lessor. 4.13 Issuance of Tax-Exempt Bonds. 4.14 Reporting Requirements. Appendix 4A Joint Venture Checklist. Chapter Five: Private Benefit, Private Inurement, and Excess Benefit Transactions. 5.1 What are Private Inurement and Private Benefit? 5.2 Transactions in which Private Benefit or Inurement May Occur. 5.3 Profit-Making Activities as Indicia of Nonexempt Purpose. 5.4 Intermediate Sanctions. 5.5 Case Law. 5.6 Planning. 5.7 State Activity with Respect to Insider Transactions.
Edition Description
Revised edition
Synopsis
Joint Ventures Involving Tax-Exempt Organizations includes the latest case law, treasury regulations, and IRS rulings to enable nonprofits to maximize their financing without jeopardizing their tax-exempt status.
LC Classification Number
KF1388.S257 2007
Item description from the seller
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