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    AICPA Comments on Form 990 Redesign

    Comment Letter June 4, 2004. This AICPA letter to the acting director of the IRS Exempt Organizations Division makes suggestions for redesigning Form 990.
    Published on June 03, 2013

    AICPA Proposes Fiscal Year Flexibility for Emerging Small Businesses

    Comment Letter This is AICPA's statement in support of allowing small businesses the flexibility to adopt any fiscal year end from April through November for tax purposes, as proposed in the Small Business Tax Flexibility...
    Published on May 20, 2013

    AICPA Suggests Improvements to Form 1023

    Comment Letter On December 2, 2002, AICPA makes suggestions to the IRS for improvements to Form 1023, the Application for Recognition of Exemption for nonprofit organizations.
    Published on November 12, 2012

    Using Family Partnerships and Refuting IRS Challenges

    Article This is an article highlighting the AICPA's position concerning the legitimate use of family partnerships. In particular, the AICPA takes exception with the IRS's refusal to recognize for transfer tax purposes the validity of many family partnership's under examination.
    Published on September 19, 2012

    AICPA Comments on IRS Exempt Organization Enforcement Efforts

    Comment Letter This April 12, 2004 letter from the AICPA Exempt Organization Taxation Technical Resource Panel to the Advisory Committee on Tax Exempt and Government Entities discusses enforcement and compliance processes and proposes a Form 990 redesign, a redesign of the exemption application process for section 501(c)(3) organizations, and new applications for
    Published on July 01, 2013

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