| Identifier | Return Reference | Explanation |
|---|---|---|
| Election to Be Treated As A Private Foundation Pursuant to IRC Section 41e6D and Reg. 1.41-7f, the e | Election to Be Treated As A Private Foundation Pursuant to IRC Section 41e)6)D) and Reg. 1.417f) the exempt organization elects to be treated as a private foundation for purposes covered under this Section except for Section 4940 relating to excise tax based on investment income. The organization is a Section 501c)3) grant organization exempt from tax under section 501a) and satisfies all other requirements of IRC Section 41e)6)D). |