By Bruce R. Hopkins
Elevating cash to satisfy a nonprofit organization's targets is necessary to its luck, yet fundraising laws are an more and more advanced maze. The legislation of Fundraising, 5th variation is the definitive consultant to demystifying federal and country fundraising laws. With new dialogue on net fundraising, political fundraising legislation, and foreign fundraising, this ebook info federal and nation legislation, with an emphasis on administrative, tax, and constitutional legislation. This consultant is supplemented every year to maintain nonprofit pros on most sensible of the newest fundraising criminal developments. Read more...
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Extra info for The law of fundraising
11. 32. IRC § 527. See Law of Tax-Exempt Organizations, Chapter 17. 33. Contributions to veterans’ organizations are deductible by reason of IRC § 170(c)(3). 34. Only organizations described in IRC § 170(c) are eligible charitable donees. See supra note 6. 35. See supra note 28. 36. See Private Foundations; Hopkins, Private Foundation Law Made Easy (Hoboken, NJ: John Wiley & Sons, 2008). 37. , organizations described in IRC § 501(c)(4). See supra notes 26 and 34. 38. IRC § 501(c)(19). See supra note 31.
1. Direct Mail/Donor Acquisition. Direct mail/donor acquisition fundraising uses direct mail response advertising (usually third class, bulk rate) in the form of letters to individuals who are not present donors, inviting them to participate at modest levels. One of the best methods to ﬁnd and recruit new contributors, this program is perhaps best known to the public because people receive so many mail requests. Usually a charity can expect only a 1 to 2 percent rate of return on “bulk mail requests,” but this is considered satisfactory.
7. Rev. Rul. B. 150. 11. Rev. Rul. B. 117. 6. Reg. 501(c)(3)-1(d)(2). 11. Rev. Rul. B. 152. 15(a). Rev. Rul. B. 150. 15(b). Rev. Rul. B. 173. 15(f). Kentucky Bar Foundation, Inc. v. C. 921 (1982). 15(f). Rev. Rul. B. 179. 15(f). Hutchinson Baseball Enterprises, Inc. v. C. 2d 757 (10th Cir. 1982). 15(c). Also IRC § 501(j). 2. S. Supreme Court held that all organizations encompassed by IRC § 501(c)(3), including those that are “educational” and “religious,” are “charitable” in nature for federal tax law purposes (Bob Jones University v.