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Trade and Professional Tax Services

 

Our work includes familiarity with the requirements for obtaining and maintaining exemption under Section 501(c)(3), Section 501(c)(4) and Section 501(c)(6) of the Internal Revenue Code. We have extensive experience in addressing private inurement issues, unrelated business income tax issues (including opportunities and problems relating to special rules, such as those for royalty income or debt-financed property), reasonable compensation and intermediate sanction issues and issues involving association-sponsored charitable and educational foundations and wholly owned for-profit subsidiaries. We also are conversant with private foundation regulations, including grant making, excess business holdings and prohibitions against self-dealing.

 

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