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HomeMy WebLinkAboutExemption LetterDISTRICT DIRECTOR P. 0. 3CX 2508 Ir�LJC �:'G'I T O._ 452n _ U V -/0 _22 0c j LT_},,Iv i_i OF T KT �.li_.�-Ol- -...� 3n: 0�,v Gl i j.D. L 11 17_ ^_\J�__V.. v-...( ...n4 I__^I i 3313 - '':2= (51 3) 241-519: Le rter Dated: � G-9 54 - No De__ tpD1; caaz: This modifies our letter of the above dare in whica we stated that you Would be treated as an Org^_._'hization that is not a pr=vale -oun(l ation until the expiration of yolir advance ruling peri od. o-ar e?_emDt Status ',?T1der section 50l(a) Ci the Internal Revenue Code e , Organization described in section 501(c)(3) is still in effect. Rased o -n she n_OrIIatlOn -y,ou s11bmitted, we have determined that 'you are not _ Drivatc L oundation within the meaning of section 509(a) of rhe Code because you are an organization or the type described in section 509(a)(2)_ Grantors a_id contributors may rely on tills detL_=inatior, Suess the Internal Revenue Service publishes notice t0 the contrary. However, if you. / lose your section 509(a)(2) status, a grantor or cflntributor may not rely on this determination if he Or s}_'e was in part respOPS_ble for, or was aware Of, the act or fail—Lire to act, or the substantial or material change on the part of the organization that resulted in your loss of such sta-us, or if he or she acquired �itLiOWledF�e tilt the Internal Revenue Service had given notice that you could no longer be classified as a section 509(x)(2) organization. If we have indicated in the heading of this letter that an addend= applies, the addelldum enclosed is an integral part of this letter. BecaLse this letter could help resolve a--,i-,T questions about your private foundation status, please i eep _t in �TO'.'S permanent recorCS . If you have any questions, please contact the person Whose name a_ad telephone number are shown above, Sincerely yours, Jt District Director Letter 1050 (DO/CG)