Something that's Not a Program Related Investment


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X, a private foundation, invests $100,000 in the common stock of corporation M. The dividends received from such investment are later applied by X in furtherance of its exempt purposes. Although there is a relationship between the return on the investment and the accomplishment of X's exempt activities, there is no relationship between the investment per se and such accomplishment. Therefore, the investment cannot be considered as made primarily to accomplish one or more of the purposes described in section 170(c)(2)(B) and cannot qualify as program-related.


This is an illustration modified from examples provided by the Internal Revenue Service. It is not a legal opinion on the tax treatment of any specific agreement between a private foundation and other entity.


Thursday April 10, 2025

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Kresge Foundation


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Awakening the Entrepreneurial Spirit


Amit Kataria, who lost his lower limbs to polio, has launched his social enterprise, Rural Organisation for Social Empowerment (ROSE) to create employment for at least one member of every household in Haryana, North Central India.



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