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Webcast: Form 990: Exploring the Form’s Complex Schedules (WBF990A316)
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9/27/2016
When: 09/27/2016
8:00 AM until 4:00 PM
Where: Webcast
AICPA
1176881:EA2EC07FA1E37CAA4728BADA937A1AD4
United States
Presenter: Eve Borenstein, JD


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AcronymWBF990A316
CPE8 hours
VendorAICPA
Category
Tax
LevelAdvanced
Yellow BookNo
PrerequisiteBasic Knowledge of the “Core Form” 990 Parts I-XII
Who should attend CPAs, attorneys, and nonprofit managers
Members$249
CPA Non-Members $319

The Member rate applies to LCPA members, reciprocal state society members, and non-CPA staff of LCPA members. To register online, use the ‘Register’ button above. To register by phone, call the LCPA Member Service Center at 800.288.5272 or 504.464.1040, Monday through Friday, 8am to 5pm.

Description

Mastery of the current Form 990 beyond its Core Form pages requires understanding of the Form’s transparency demands relating to multiple complex issues: transactions with certain insiders; expanded disclosure of highly-comp’d individuals’ calendar year compensation; identifying, and reporting in the presence of, “related organizations,” nuances of the two “public support tests;” undertaking of foreign operations; and more. This course covers the most advanced tax and nonprofit issues that are the subject of the Form 990’s Schedules. Participants will not only gain an understanding of the tax and practical points necessary to complete Schedules A, C, F, J, K, L, N and R of the current Form 990, but also be advised as to how to communicate with exempt clients on each of these Schedules’ unique demands.

Objectives

When you complete this course you will be able to:

  • Distinguish between the in-flows of each of the “public support tests,” apply each test’s calculations, and identify both what makes a “supporting organization” and note such entities’ “Types” and attendant reporting obligations.
  • Distinguish the reporting obligations of 501(c)(3) organizations with respect to “lobbying” versus that of the “proxy tax” in place for 501(c) (4), (5), and (6) organizations; and note required “electioneering” reporting of all 501(c) entities.
  • Recognize the triggers by which Schedule F is mandated.
  • Recall the definitions of “Interested Persons” applied within each Part of Schedule L.
  • Recognize the expanded compensation reporting and “management practices” inquired of in Schedule J.
  • Appreciate both the need for bond counsel involvement in completing Schedule K and the diverse scenarios that trigger Schedule N.
  • Identify the common reporting disclosures required in the presence of “related organizations” and the unique reporting demands applied based on type of entity.

Topics

  • Key issues that affect how “public charities” are classified and related Schedule A reporting
  • The various public policy realms inquired of in Schedule C
  • Complexity and problems within Schedule F’s instructions
  • Identification of, and reporting in Schedule R, of related organizations
  • The various types of “Transactions with Interested Persons” required to be disclosed in Schedule
  • Critical issues to avoid in Schedules K and N
  • Items to watch when completing Schedule J’s Parts I and II

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