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The message also quoted an October 10, 2007, letter from the Internal Revenue Service which stated, "We determined that you [Joyce Meyer Ministries] continue to qualify as an organization exempt from federal income tax under IRC section 501(c)(3)." The same information was also posted to the ministry website.
Churches and associated corporations are automatically considered tax-exempt and are not required to apply for and obtain recognition of exempt status from the IRS. Donors are allowed to claim a charitable deduction for donations to a church that meets the section 501(c)(3) requirements, even though the church has neither sought nor received ...
New York law granted property tax exemptions to religious organizations for religious properties used solely for religious worship. This exemption is authorized by N.Y. Const. art. XVI, § 1. Under this provision, exemptions from taxation may be granted only by general laws.
The Supreme Court on Friday agreed to hear a case about whether a charitable group linked with the Catholic Church can claim a religious exemption from Wisconsin’s unemployment tax system.
The following year, in the United States, the IRS again revoked the Church's tax exempt status. The Church brought a declaratory judgment action in the United States Court of Federal Claims with respect to its tax-exempt status for the years covered. The Court of Federal Claims upheld the revocation on the ground that the Church had not been ...
Tax-exempt means not being required to pay taxes on certain types of income. Find out which type of income is considered tax-exempt.
The Supreme Court agreed Friday to take up a Catholic charitable group’s quest to qualify for Wisconsin’s religious exemption from the state’s unemployment tax system. Wisconsin exempts ...
Churches are generally exempt from paying taxes. [27] The United States Supreme Court has held that tax exemption for churches is constitutional under the Establishment Clause [28] and that churches and religious organizations may be subject to a general sales and use tax; [29] however, the Court has not addressed whether government may enact a ...