The Law of Fundraising. Bruce R. Hopkins

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The Law of Fundraising - Bruce R. Hopkins


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status under IRC § 501(a) for those nonprofit organizations that are listed in IRC § 501(c). See Tax-Exempt Organizations, Chapters 13–19. Other categories of tax-exempt organizations are described in IRC §§ 521, 526, 527, and 528. See Tax-Exempt Organizations, Chapters 17, 19. Governmental entities are also tax exempt. See Tax-Exempt Organizations, §§ 7.14, 19.21.

      25 25. That is, organizations described in IRC § 501(c)(3).

      26 26. Organizations described in IRC § 501(c)(4). See Law of Tax-Exempt Organizations, Chapter 13. Social welfare organizations are the type of noncharitable organizations that are most likely to be subject to the state charitable solicitation acts.

      27 27. Organizations described in IRC § 501(c)(5). See Tax-Exempt Organizations, § 16.1.

      28 28. IRC § 501(c)(6). See Tax-Exempt Organizations, Chapter 14.

      29 29. IRC § 501(c)(7). See Tax-Exempt Organizations, Chapter 15.

      30 30. Organizations described in IRC § 501(c)(8), (10). See Tax-Exempt Organizations, § 19.4.

      31 31. IRC § 501(c)(4) or § 501(c)(19). See Tax-Exempt Organizations, Chapter 13, § 19.11.

      32 32. IRC § 527. See Tax-Exempt Organizations, Chapter 17.

      33 33. Contributions to veterans' organizations are deductible by reason of IRC § 170(c)(3).

      34 34. Only organizations described in IRC § 170(c) are eligible charitable donees. See supra note 6.

      35 35. See supra note 28.

      36 36. See Private Foundations.

      37 37. E.g., organizations described in IRC § 501(c)(4). See supra notes 26 and 34.

      38 38. IRC § 501(c)(19). See supra note 31.

      39 39. IRC § 170(b)(1)(A)(i). See Tax-Exempt Organizations, Chapter 10.

      40 40. 40 IRC § 170(b)(1)(A)(ii). See Tax-Exempt Organizations, Chapter 8.

      41 41. IRC § 170(b)(1)(A)(iii). See Tax-Exempt Organizations, § 7.6.

      42 42. IRC §§ 170(b)(1)(A)(vi) (IRC § 509(a)(1) and 509(a)(2)). See Private Foundations, Chapter 15.

      43 43. See supra notes 26 and 34.

      44 44. See § 3.16.

      45 45. See § 3.2(a).

      46 46. This analysis and the one in § 2.13 were prepared by James M. Greenfield, FAHP, CFRE, author of Fund-Raising: Evaluating and Managing the Fund Development Process, Second Edition (New York: John Wiley & Sons, 1999), and Fund-Raising Fundamentals: A Guide to Annual Giving for Professionals and Volunteers (New York: John Wiley & Sons, 1994). His contribution is gratefully acknowledged by the authors. The footnotes to §§ 2.2 and 2.13 were added by the authors.

      47 47. This statement illustrates how dramatically fundraising (and other) communications have changed in recent years. Other ways a charitable organization can ask for a gift are by means of a website, by email, or by facsimile.

      48 48. See § 4.1.

      49 49. The increasing sophistication of database companies is allowing them to target mailings more specifically to Americans identified by their racial or ethnic backgrounds; this practice is raising a host of ethical concerns (see, e.g., “The Ethics of ‘Ethnicated’ Mailing Lists,” Wash. Post, Nov. 14, 1992, at A1).

      50 50. But see “Evangelists' Electronic Collection Plates Making Fewer Rounds,” Wash. Post, Dec. 20, 1992, at A3.

      51 51. In addition, local governments are increasing their regulation of this form of gambling. In general, “Charity Gambling: Who Gets the Take?,” Metro. Times, Aug. 22, 1994, at C4 (The Washington Times); Gattuso, “What's Ahead for Charity Gambling?,” 24 Fund Raising Mgmt. (No. 7) 19 (1993); “Md. Slot Machines Raise Money—and Questions,” Wash. Post, Sept. 27, 1993, at D1; “Charity Casinos Parlayed into Big Business,” Wash. Post, Sept. 26, 1993, at B1; “Charities' Big Gamble” (subtitled “Games of chance raise millions for good works, but questions of fraud could tar nonprofits' image, prompt more regulation”), V Chron. of Phil. (No. 15) 1 (May 18, 1993); “States Say Abuse Is Widespread in Charity Gains,” II Chron. of Phil. (No. 10) 1 (Mar. 6, 1990). One newspaper account stated that “charitable fund-raising [by this method] has lost its innocence. The church basement roulette games that long have been a staple of charitable fund-raising in … [a county near Washington, DC] have grown in recent years into a multi-million-dollar industry that is siphoning money from the people who are supposed to benefit into the pockets of professional gamblers …” (“P.G. Plays Weak Hand against Charity Casinos,” Wash. Post, Feb. 20, 1993, at D1).

      52 52. Greenfield, “Fund-Raising Costs and Credibility: What the Public Needs to Know,” NSFRE J., Autumn 1988, at 49.

      53 53. Fink and Metzler, The Costs and Benefits of Deferred Giving (New York: Columbia University Press, 1982).

      54 54. For more details about the environmental audit, see Greenfield, “The Fund-Raising Environmental Audit,” 22 Fund Raising Mgmt. (No. 3) 28 (1991).

      55 55. For a summary of the role of, compensation of, and demand for the fundraising professional, see “Fund-Raisers' Own Funds Are Rising,” Wall Street J., Mar. 2, 1993, at B1.

      56 56. This analysis was prepared by Richard Larkin, CPA, for use as part of this chapter. His contribution is gratefully acknowledged by the authors. Additional information concerning financial management in this context is available in Gross, Jr., Larkin, and McCarthy, Financial and Accounting Guide for Not-for-Profit Organizations (6th ed.; New York: John Wiley & Sons, 2000).

      57 57.


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