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Form 5768 for Vacaville California: What You Should Know

Internal Revenue Code of 1954— Section 501(c)(3) (Form 506) — The public benefit test. The provisions of the subsection of section 501(c)(3) relating to election of this election. (a) Eligible Organizations: (i) the Federal filing Compliance Program (ii) a qualified nonprofit organization, other than a corporation, that-- (A) was organized or doing business on a Saturday, Sunday, or legal holiday (whether a Federal holiday) during the preceding calendar year, and (B) is not organized or doing business on a Saturday, Sunday, or legal holiday (whether a Federal holiday) during the first 12 months of its current fiscal year. (iii) an affiliate, a related person or entity, or a foreign affiliate of an incorporated organization (iv) one or more subsidiary organizations, all of which are not organized or doing business on a Saturday, Sunday, or legal holiday (whether a Federal holiday) during the year during which the election is made. (v) a related person or entity, or a foreign affiliate or subsidiary of a related person or entity, if the affiliate, related person, or foreign affiliate has a current Federal tax exemption filing status for the tax year ending on the date of the election. (vi) a foreign affiliate that is part of a partnership that is required to file with the Internal Revenue Service under subchapter U of the Internal Revenue Code of 1954. (vii) an affiliate if the affiliate has not had a Federal tax exemption filing status during-- (A) the preceding calendar year, or (B) the 12-month period preceding the date of the election. (viii) a foreign affiliate if the affiliate has a current Federal tax exemption filing status (whether exempt for the tax year ending on the date of the election) the following year for the tax year ending on the date of the election. (ix) any partnership that has a current Federal tax exemption filing status (whether exempt for the tax year ending on the date of the election) during the year before the election and any partnership foreign affiliate that has not had a Federal tax exemption filing status during the year before the election and for the 12-month period preceding the election.

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