Recognizing and Avoiding Self-Dealing: Both Direct and Indirect

Recognizing and Avoiding Self-Dealing: Both Direct and Indirect , Salk Institute 40th Annual Tax and Management Seminar for Private Foundations, La Jolla, California, March 14-16, 2012

Also presented with Terri Helge at Dallas Society of CPAs, Annual Conference, May 4, 2012

This seminar paper looks specifically at the private foundation prohibition on self-dealing under Section 4941 of the Internal Revenue Code. The paper explores both direct self-dealing, as well as indirect self-dealing offering the law as well as a number of case studies to explore these issues.

 

Comment Policy: Comments are welcome; however they don’t create an attorney-client relationship. If you’d like to engage me, contact me at Bourland, Wall & Wenzel, P.C..

Speak Your Mind

*