Department of the Treasury Internal Revenue Service
Public Charity Status and Public Support
Complete if the organization is a section 501(c)(3) organization or a section
4947(a)(1) nonexempt charitable trust.
Attach to Form 990 or Form 990-EZ. See separate instructions.
OMB No. 1545-0047
2010
Open to Public Inspection
Name of the organization
University of Vermont Medical Group INC
Employer identification number
03-0225105
Part I
Reason for Public Charity Status
(All organizations must complete this part.) See instructions
The organization is not a private foundation because it is: (For lines 1 through 11, check only one box.)
1
2
3
4
5
section 170(b)(1)(A)(iv). (Complete Part II.)
6
7
8
9
receipts from activities related to its exempt functions—subject to certain exceptions, and (2) no more than 331/3% of
its support from gross investment income and unrelated business taxable income (less section 511 tax) from businesses
acquired by the organization after June 30, 1975. See section 509(a)(2). (Complete Part III.)
10
11
e
By checking this box, I certify that the organization is not controlled directly or indirectly by one or more disqualified persons other than foundation managers and other than one or more publicly supported organizations described in section 509(a)(1) or section 509(a)(2).
f
If the organization received a written determination from the IRS that it is a Type I, Type II or Type III supporting organization, check this box
..................................................
g
Since August 17, 2006, has the organization accepted any gift or contribution from any of the following persons?
(i) a person who directly or indirectly controls, either alone or together with persons described in (ii)
Yes
No
and (iii) below, the governing body of the the supported organization?
................
11g(i)
No
(ii)
a family member of a person described in (i) above?
......................
11g(ii)
No
(iii)
a 35% controlled entity of a person described in (i) or (ii) above?
................
11g(iii)
No
h
Provide the following information about the supported organization(s).
(i) Name of supported organization
(ii) EIN
(iii) Type of organization (described on lines 1- 9 above or IRC section (see instructions))
(iv) Is the organization in col. (i) listed in your governing document?
(v) Did you notify the organization in col. (i) of your support?
(vi) Is the organization in col. (i) organized in the U.S.?
(vii) Amount of support?
Yes
No
Yes
No
Yes
No
(1)
FAHC
030219309
03
Yes
106,539,886
Total
106,539,886
For Paperwork Reduction Act Notice, see the Instructions for Form 990.
Cat. No. 11285F
Schedule A (Form 990 or 990-EZ) 2010
Schedule A (Form 990 or 990-EZ) 2010
Page 2
Part II
Support Schedule for Organizations Described in IRC 170(b)(1)(A)(iv) and 170(b)(1)(A)(vi) (Complete only if you checked the box on line 5, 7, or 8 of Part I or if the
organization failed to qualify under Part III. If the organization fails to
qualify under the tests listed below, please complete Part III.)
Section A. Public Support
Calendar year(or fiscal year beginning in)
(a) 2006
(b) 2007
(c) 2008
(d) 2009
(e) 2010
(f) Total
1
Gifts, grants, contributions, and membership fees received. (Do not include any "unusual grants.") ....
2
Tax revenues levied for the organization's benefit and either paid to or expended on its behalf.......
3
The value of services or facilities furnished by a governmental unit to the organization without charge..
4
Total. Add lines 1 through 3..
5
The portion of total contributions by each person (other than a governmental unit or publicly supported organization) included
on line 1 that exceeds 2% of the amount shown on line 11, column (f)..
6
Public Support. Subtract line 5 from line 4.
Section B. Total Support
Calendar year(or fiscal year beginning in)
(a) 2006
(b) 2007
(c) 2008
(d) 2009
(e) 2010
(f) Total
7
Amounts from line 4..
8
Gross income from interest, dividends, payments received on securities loans, rents, royalties and income from similar sources..
9
Net income from unrelated business activities, whether or not the business is regularly carried on..
10
Other income. (Explain in Part IV.) Do not include gain or loss from the sale of capital assets..
11
Total support (Add lines 7 through 10).
12
Gross receipts from related activities, etc. (See instructions.)
..................
12
13
First Five Years
If the Form 990 is for the organization's first, second, third, fourth, or fifth tax year as a 501(c)(3) organization,
check this box and stop here..........................................
Section C. Computation of Public Support Percentage
14
Public Support Percentage for 2010 (line 6 column (f) divided by line 11 column (f))
.........
14
15
Public Support Percentage for 2009 Schedule A, Part II, line 14
...............
15
16a
33 1/3% support test—2010.
If the organization did not check the box on line 13, and line 14 is 33 1/3% or more, check this box
and stop here. The organization qualifies as a publicly supported organization
......................
b
33 1/3% support test—2009.
If the organization did not check the box on line 13 or 16a, and line 15 is 33 1/3% or more, check this
box and stop here. The organization qualifies as a publicly supported organization
.....................
17a
10%-facts-and-circumstances test—2010.
If the organization did not check a box on line 13, 16a, or 16b and line 14
is 10% or more, and if the organization meets the "facts and circumstances" test, check this box and stop here. Explain
in Part IV how the organization meets the "facts and circumstances" test. The organization qualifies as a publicly supported
organization
..................................................
b
10%-facts-and-circumstances test—2009.
If the organization did not check a box on line 13, 16a, 16b, or 17a and line
15 is 10% or more, and if the organization meets the "facts and circumstances" test, check this box and stop here.
Explain in Part IV how the organization meets the "facts and circumstances" test. The organization qualifies as a publicly supported organization
..............................................
18
Private Foundation
If the organization did not check a box on line 13, 16a, 16b, 17a or 17b, check this box and see
instructions
...................................................
Schedule A (Form 990 or 990-EZ) 2010
Schedule A (Form 990 or 990-EZ) 2010
Page 3
Part III
Support Schedule for Organizations Described in IRC 509(a)(2) (Complete only if you checked the box on line 9 of Part I or if the organization
failed to qualify under Part II. If the organization fails to qualify under
the tests listed below, please complete Part II.)
Section A. Public Support
Calendar year(or fiscal year beginning in)
(a) 2006
(b) 2007
(c) 2008
(d) 2009
(e) 2010
(f) Total
1
Gifts, grants, contributions, and membership fees received. (Do not include any "unusual grants.") .
2
Gross receipts from admissions, merchandise sold or services performed, or facilities furnished in any activity that is related to the organization's tax-exempt purpose......
3
Gross receipts from activities that are not an unrelated trade or business under section 513..
4
Tax revenues levied for the organization's benefit and either paid to or expended on its behalf...
5
The value of services or facilities furnished by a governmental unit to the organization without charge..
6
Total. Add lines 1 through 5.
7a
Amounts included on lines 1, 2, and 3 received from disqualified persons...
b
Amounts included on lines 2 and 3 received from other than disqualified persons that exceed the greater of $5,000 or 1% of the amount on line 13 for the year.
c
Add lines 7a and 7b..
8
Public Support (Subtract line 7c from line 6.)
Section B. Total Support
Calendar year (or fiscal year beginning in)
(a) 2006
(b) 2007
(c) 2008
(d) 2009
(e) 2010
(f) Total
9
Amounts from line 6...
10a
Gross income from interest, dividends, payments received on securities loans, rents, royalties and income from similar sources..
b
Unrelated business taxable income (less section 511 taxes) from businesses acquired after June 30, 1975.
c
Add lines 10a and 10b.
11
Net income from unrelated business activities not included in line 10b, whether or not the business is regularly carried on.
12
Other income. Do not include gain or loss from the sale of capital assets (Explain in Part IV.)
13
Total support (Add lines 9, 10c, 11 and 12.).
14
First Five Years
If the Form 990 is for the organization's first, second, third, fourth, or fifth tax year as a 501(c)(3) organization,
check this box and stop here.............................................
Section C. Computation of Public Support Percentage
15
Public Support Percentage for 2010 (line 8 column (f) divided by line 13 column (f))
.........
15
16
Public support percentage from 2009 Schedule A, Part III, line 15
...............
16
Section D. Computation of Investment Income Percentage
17
Investment income percentage for 2010 (line 10c column (f) divided by line 13 column (f))
......
17
18
Investment income percentage from 2009 Schedule A, Part III, line 17
.............
18
19a
33 1/3% support tests—2010.
If the organization did not check the box on line 14, and line 15 is more than 33 1/3% and line 17 is not more than 33 1/3%, check this box and stop here. The organization qualifies as a publicly supported organization
..........
b
33 1/3% support tests—2009.
If the organization did not check a box on line 14 or line 19a, and line 16 is more than 33 1/3% and line 18 is not more than 33 1/3%, check this box and stop here. The organization qualifies as a publicly supported organization
....
20
Private Foundation
If the organization did not check a box on line 14, 19a or 19b, check this box and see instructions
.....
Schedule A (Form 990 or 990-EZ) 2010
Schedule A (Form 990 or 990-EZ) 2010
Page 4
Part IV
Supplemental Information.
Supplemental Information. Complete this part to provide the explanation required by Part II, line 10; Part II, line 17a or 17b; or Part III, line 12. Also complete this part for any additional information. (See instructions).
Facts And Circumstances Test
Explanation
Schedule A (Form 990 or 990-EZ) 2010
Additional Data
Software ID:
Software Version:
-
TIN:
SCHEDULE O (Form 990 or 990-EZ)
Department of the Treasury Internal Revenue Service
Supplemental Information to Form 990 or 990-EZ
Complete to provide information for responses to specific questions on
Form 990 or to provide any additional information.
Attach to Form 990 or 990-EZ.
OMB No. 1545-0047
2010
Open to Public Inspection
Name of the organization
University of Vermont Medical Group INC
Employer identification number
03-0225105
Identifier
Return Reference
Explanation
FORM 990, PART III, LINE 4A
STATEMENT OF PROGRAM SERVICE ACCOMPLISHMENTS
UNIVERSITY OF VERMONT MEDICAL GROUP ("UVM MEDICAL GROUP") IS A VERMONT NON-PROFIT CORPORATION THAT FUNCTIONS AS A FACULTY PRACTICE PLAN EMPLOYING PHYSICIANS WITH FULL-TIME FACULTY APPOINTMENTS TO THE COLLEGE OF MEDICINE ("COM") OF THE UNIVERSITY OF VERMONT ("UVM"). BY WRITTEN CONTRACT, UVM MEDICAL GROUP FURNISHES ITS EMPLOYED PHYSICIANS EXCLUSIVELY TO FLETCHER ALLEN HEALTH CARE ("FLETCHER ALLEN"), A TEACHING HOSPITAL AFFILIATED WITH UVM, TO PROVIDE PROFESSIONAL SERVICES TO FLETCHER ALLEN'S PATIENTS. UNDER THE CONTRACT, FLETCHER ALLEN AGREES TO REIMBURSE UVM MEDICAL GROUP FOR THE ASSOCIATED SALARY AND BENEFIT COSTS OF THESE PHYSICIANS AND TO PROVIDE CERTAIN ADMINISTRATIVE SERVICES, INCLUDING BILLING AND PAYROLL SUPPORT SERVICES. ALL PATIENT REVENUES GENERATED BY PHYSICIANS EMPLOYED BY UVM MEDICAL GROUP ARE RETAINED BY FLETCHER ALLEN.
BUSINESS RELATIONSHIPS
FORM 990, PART VI, QUESTION 2
ROGER DESHAIES, FORMER TREASURER OF UVMMG, ALSO SERVES AS THE TREASURER OF VMCIC AND THE TREASURER AND SECRETARY OF FAHV. DR. PAUL TAHERI, PRESIDENT & CEO OF UVMMG, ALSO SERVES AS VICE PRESIDENT FOR FAHV. THE FOLLOWING DIRECTORS OF UVMMG ARE EMPLOYEES OF BOTH UVM COLLEGE OF MEDICINE AND UVM MEDICAL GROUP: DR. EDWIN GLADSTONE BOVILL DR. STEVEN BRAFF DR. MARION COUCH DR. LEWIS R. FIRST DR. JENNIFER GILWEE DR. ROBERT W. HAMILL DR. THOMAS LAHIRI DR. BRUCE J. LEAVITT DR. EDWARD SAMUEL LEIB DR. DAVID W. MCFADDEN DR. CLAUDE ELMER NICHOLS DR. POLLY PARSONS DR. THOMAS CHARLES PETERSON DR. MARK PHILLIPPE DR. ROBERT ALAN PIERATTINI DR. H. JAMES WALLACE DR. SCOTT YEAGER
MEMBERS OR STOCKHOLDERS
FORM 990, PART VI, QUESTIONS 6, 7A, & 7B
THE SOLE MEMBER OF THE ORGANIZATION IS FLETCHER ALLEN HEALTH CARE, INC. (FLETCHER ALLEN). AS SOLE MEMBER, FLETCHER ALLEN HAS ALL OF THE POWERS RESERVED TO MEMBERS OF A VERMONT NON-PROFIT CORPORATION, INCLUDING THE POWER TO ELECT DIRECTORS, TO APPROVE AMENDMENTS TO ORGANIZATIONAL DOCUMENTS, AND TO APPROVE MERGERS, CONSOLIDATIONS OR SALES OF THE ORGANIZATION.
MEETING DOCUMENTATION
FORM 990, PART VI, QUESTION 8B
THE STANDING COMMITTEES OF THE UNIVERSITY OF VERMONT MEDICAL GROUP (UVMMG) BOARD ARE FINANCE, PATIENT CARE & OPERATIONS, RESEARCH AND EDUCATION, AND SUCH OTHER STANDING COMMITTEES AS MAY BE ESTABLISHED BY VOTE OF A MAJORITY OF THE DIRECTORS OF THE BOARD. THE BOARD AND EACH COMMITTEE OF THE ORGANIZATION CONTEMPORANEOUSLY DOCUMENT ITS ACTIONS BY WRITTEN MINUTES.
FORM 990 REVIEW
FORM 990, PART VI, QUESTION 11B
UNIVERSITY OF VERMONT MEDICAL GROUP'S (UVMMG) FORM 990 IS PREPARED BY A PAID PREPARER AND REVIEWED BY FLETCHER ALLEN HEALTH CARE (THE ORGANIZATION'S PARENT ORGANIZATION) SENIOR LEADERSHIP. FOLLOWING THAT REVIEW, FAHC'S INTERNAL MANAGEMENT PRESENTS THE FORM 990 TO THE AUDIT COMMITTEE FOR REVIEW AND COMMENT. THE COMPLETED FORM 990 IS PROVIDED TO ALL MEMBERS OF UVMMG'S BOARD OF TRUSTEES PRIOR TO THE FORM BEING FILED WITH THE IRS.
CONFLICT OF INTEREST POLICY
FORM 990, PART VI, QUESTION 12
THE ORGANIZATION IS SUBJECT TO THE CONFLICT OF INTEREST POLICY AND REQUIREMENTS OF FLETCHER ALLEN HEALTH CARE (FAHC), ITS PARENT ORGANIZATION. FAHC REGULARLY MONITORS AND ENFORCES COMPLIANCE WITH ITS CONFLICT OF INTEREST POLICY. IN ACCORDANCE WITH THE POLICY, TRUSTEES, OFFICERS, KEY EMPLOYEES AND PHYSICIANS ARE REQUIRED TO COMPLETE A CONFLICT OF INTEREST DISCLOSURE AND CERTIFICATION UPON HIRING, AT LEAST ANNUALLY, PRIOR TO PARTICIPATING IN ANY DECISION THAT MAY BE AFFECTED BY A PERSONAL INTEREST, AND WHENEVER A POTENTIALLY CONFLICTING INTEREST FIRST ARISES. CONFLICT OF INTEREST DISCLOSURES AND CERTIFICATION MAY BE MADE ONLINE OR IN WRITING AND ARE REGULARLY REVIEWED BY THE GENERAL COUNSEL OF FAHC. THE CONFLICT OF INTEREST POLICY IS ENFORCED BY THE OFFICE OF GENERAL COUNSEL OF FAHC AND OVERSEEN BY A FIVE-PERSON CONFLICT OF INTEREST COMMITTEE. THE GENERAL COUNSEL REPORTS AT LEAST QUARTERLY ON CONFLICT OF INTEREST ISSUES TO THE FAHC AUDIT COMMITTEE OF THE BOARD OF TRUSTEES. CONFLICTS OF INTEREST ARE MANAGED IN ACCORDANCE WITH THE POLICY, WHICH PROVIDES FOR A VARIETY OF REMEDIES TO ADDRESS CONFLICTS OF INTEREST. IN ADDITION, "DISQUALIFIED PERSONS," CONSISTING OF TRUSTEES, OFFICERS AND KEY EMPLOYEES ARE SUBJECT TO SPECIAL PROCEDURES TO COMPLY WITH THE INTERMEDIATE SANCTION RULES, AS OUTLINED IN THE CONFLICT OF INTEREST POLICY. WHISTLEBLOWER POLICY AND DOCUMENT RETENTION AND DESTRUCTION POLICY FORM 990, PART VI, QUESTIONS 13 & 14 THE GOVERNING BOARD OF UVMMG HAS NOT FORMALLY ADOPTED THE WHISTLE BLOWER POLICY OR THE DOCUMENT RETENTION AND DESTRUCTION POLICY WRITTEN BY FLETCHER ALLEN HEALTH CARE, UVMMG'S PARENT ORGANIZATION. THE POLICIES WERE WRITTEN SUCH THAT THEY APPLY TO FAHC AND ITS SUBSIDIARY COMPANIES AND FAMG OPERATES UNDER THESE POLICIES.
COMPENSATION DETERMINATION
FORM 990, PART VI, QUESTION 15
UVM MEDICAL GROUP (UVMMG) RELIED ON FAHC, THE PARENT ORGANIZATION OF UVMMG, TO ESTABLISH ITS PRESIDENT/CEO'S COMPENSATION. THE BOARD OF DIRECTORS OF UVM MEDICAL GROUP HAS ADOPTED A PHYSICIAN COMPENSATION PLAN FOR ITS EMPLOYED PHYSICIANS THAT PROVIDES IN PART AS FOLLOWS: "THE TOTAL COMPENSATION PAID TO A PHYSICIAN SHALL NOT BE IN EXCESS OF REASONABLE COMPENSATION NOR INCONSISTENT WITH THE FAIR MARKET VALUE OF THE PHYSICIAN'S SERVICES, MEASURED BY APPROPRIATE INDUSTRY BENCHMARKS." THE COMPENSATION PLAN HAS ALSO BEEN APPROVED BY THE BOARD OF TRUSTEES OF FLETCHER ALLEN, THE PARENT ORGANIZATION OF UVM MEDICAL GROUP. THE BOARD OF TRUSTEES OF FLETCHER ALLEN, THROUGH ITS COMPENSATION COMMITTEE, MONITORS COMPLIANCE WITH THE PHYSICIAN COMPENSATION PLAN AND OTHER APPLICABLE LEGAL REQUIREMENTS TO ASSURE THAT THE COMPENSATION PAID TO PHYSICIANS AND EXECUTIVES EMPLOYED BY UVM MEDICAL GROUP IS NOT EXCESS OF REASONABLE COMPENSATION. THE COMPENSATION COMMITTEE IS COMPRISED SOLELY OF INDEPENDENT TRUSTEES. TO ASSIST THE COMPENSATION COMMITTEE WITH THIS WORK, FLETCHER ALLEN ENGAGES AN INDEPENDENT CONSULTING FIRM, TOWERS WATSON, WITH NATIONAL EXPERTISE IN HEALTH CARE COMPENSATION. TOWERS WATSON BENCHMARKS THE COMPENSATION PAID BY UVM MEDICAL GROUP TO ITS EXECUTIVES AND EMPLOYED PHYSICIANS AGAINST THE COMPENSATION PAID BY OTHER COMPARABLE ORGANIZATIONS AND PROVIDES AN OPINION TO THE COMPENSATION COMMITTEE OF FLETCHER ALLEN AS TO WHETHER THE COMPENSATION IS IN EXCESS OF REASONABLE COMPENSATION. BASED ON THIS OPINION AND OTHER AVAILABLE INFORMATION, THE COMPENSATION COMMITTEE MAKES DETERMINATIONS AS TO THE REASONABLENESS OF COMPENSATION AND DOCUMENTS ITS DETERMINATIONS AS TO THE REASONABLENESS OF COMPENSATION CONTEMPORANEOUSLY IN ITS MINUTES. IF A DETERMINATION IS MADE THAT THE COMPENSATION PAID TO AN INDIVIDUAL EMPLOYEE IS EXCESSIVE, MEASURES ARE TAKEN TO ADJUST THE COMPENSATION TO ASSURE THAT IT IS NOT IN EXCESS OF REASONABLE COMPENSATION.
DOCUMENT DISCLOSURE
FORM 990, PART VI, QUESTION 19
GOVERNANCE DOCUMENTS CONSIST OF THE ARTICLES OF INCORPORATION AND BYLAWS. THE ARTICLES OF INCORPORATION ARE FILED WITH THE VERMONT SECRETARY OF STATE AND PUBLICLY AVAILABLE THROUGH THAT OFFICE. OUR BYLAWS ARE NOT PUBLICLY POSTED, BUT WE WOULD FURNISH A COPY TO ANY MEMBER OF THE PUBLIC WHO REQUESTED ONE. CONFLICT OF INTEREST POLICY IS NOT PUBLICLY POSTED, BUT WE WOULD FURNISH A COPY TO ANY MEMBER OF THE PUBLIC WHO REQUESTED ONE. FLETCHER ALLEN HEALTH CARE INC.'S FINANCIAL STATEMENTS (OF WHICH UNIVERSITY OF VERMONT MEDICAL GROUP IS CONSOLIDATED) ARE FILED MONTHLY WITH THE STATE OF VERMONT'S DEPARTMENT OF BANKING, SECURITIES, INSURANCE, AND HEALTH CARE ADMINISTRATION (BISHCA) AND CAN BE ACCESSED BY THE PUBLIC THROUGH THAT AGENCY. PRESS RELEASES ON QUARTERLY AND YEAR END RESULTS ARE SENT TO LOCAL NEW MEDIA AND ARE POSTED ON THE WEB SITE ALONG WITH TWO HIGH-LEVEL TABLES SHOWING QUARTERLY AND YEAR-TO-DATE RESULTS. THE ANNUAL EXTERNAL AUDIT REPORT IS ALSO POSTED ON THE WEB SITE.
HOURS DEVOTED TO RELATED ORGANIZATIONS
FORM 990, PART VII
THE FOLLOWING INDIVIDUALS SERVED AS OFFICERS, DIRECTORS, TRUSTEES OR EMPLOYEES AT FLETCHER ALLEN HEALTH CARE AND DEVOTED 50 HOURS PER WEEK TO THEIR RESPECTIVE POSITIONS: SCOTT A. COMEAU DR. MARION COUCH ROGER DESHAIES THOMAS FRANK DR. MARK P. HAMLIN DR. JONATHAN B. HAYDEN DR. JENNIFER GILWEE DR. ALLEN B. REPP II DR. HOWARD M. SCHAPIRO DR. PAUL TAHERI DR. MARION COUCH RECEIVED COMPENSATION PART OF THE YEAR FROM FAHC AND PART OF THE YEAR SHE RECEIVED COMPENSATION FROM UVMMG. THE FOLLOWING INDIVIDUALS WERE COMPENSATED FOR THEIR ROLES AS PHYSICIANS, NOT FOR THEIR ROLES AS MEMBERS OF THE BOARD: DR. EDWIN GLADSTONE BOVILL DR. STEVEN BRAFF DR. MARION COUCH DR. LEWIS R. FIRST DR. ROBERT W. HAMILL DR. THOMAS LAHIRI DR. EDWARD SAMUEL LEIB DR. BRUCE J. LEAVITT DR. DAVID W. MCFADDEN DR. CLAUDE ELMER NICHOLS DR. POLLY PARSONS DR. THOMAS CHARLES PETERSON DR. MARK PHILLIPPE DR. ROBERT ALAN PIERATTINI FOOTNOTE FOR FORM 990, PART VII, SECTION A (1) IN ADDITION TO COMPENSATION PAID BY UNIVERSITY OF VERMONT MEDICAL GROUP, INC. (UVMMG) AND REFLECTED ON UVMMG'S FORM 990, THE REFERENCED INDIVIDUALS RECEIVE ADDITIONAL COMPENSATION FROM UNIVERSITY OF VERMONT (UVM). A PORTION OF SUCH COMPENSATION FROM UVM MAY BE REIMBURSED BY FLETCHER ALLEN HEALTH CARE (FAHC) TO UVM AS ACADEMIC SUPPORT PURSUANT TO THE AFFILIATION AGREEMENT BETWEEN UVM AND FAHC.
AUDIT COMMITTEE
FORM 990, PART XII, QUESTION 2C
FLETCHER ALLEN HEALTH CARE'S AUDIT COMMITTEE ASSUMES RESPONSIBILITY FOR THE OVERSIGHT OF THE CONSOLIDATED AUDIT, AS WELL AS THE CHOICE OF AN INDEPENDENT ACCOUNTANT.
For Paperwork Reduction Act Notice, see the Instructions for Form 990 or 990-EZ.