Certified Public Accountants
November 24, 1999
Cathy Putnam
Biomedical Research Institute of New Mexico
2100 Ridgecrest Dr. SE, Bldg. T-12A (151)
Albuquerque, NM 87108
Dear Cathy:
This is a letter to follow-up our discussions with regards to
reporting changes in an exempt organization's activities to the Internal
Revenue Service. Any significant modification or change in an exempt
organization's activities may have a direct bearing, on the continued
exemption of an organization. For this reason, an organization is
required to report significant changes to the activities it conducts in
the furtherance of its exempt function. There is no clear guidance in
determining when an organization's activities have changed or evolved
enough to require IRS notification.
There are two methods of notifying the IRS of such changes. The
method used depends partially on how an organization's activities were
defined in its original application for recognition of its exempt
status. One method is a letter to the key district director and the
other is with the filing of the annual Form 990 in which the
organization attaches a statement to the Form 990 outlining the changes
in its activities. The method used depends on whether the change is
significant. Relatively insignificant changes should be reported on a
statement attached to the Form 990 and significant changes should be
outlined in a letter to the key district director so that an updated
determination letter can be issued. This letter should be sent before
the new activity begins.
I believe it would be best for me to review BRINM's original
application to determine the best method of reporting the additional
educational Activities that may be undertaken. Although the bylaws
outline educational activities, the application is much more extensive
in inquiring about the organization's activities, and. if the
educational activities were not outlined in the application, we would
need to use one of the methods discussed above in notifying the IRS of
these additional activities.
You had also asked about properly completing for Form 1023
application for new organizations. Specifically, you asked which box
should be checked as to the type of organization. This will depend on
the bylaws of the new organizations and on how and why they were
established. It would be best for this to be evaluated on a case by case
basis.
I hope this helps. If you have any other questions, please feel free
to call.
Sincerely,
Rogoff Erickson Diamond & Walker, LLP
Kim McNulty
Senior Manager