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. Go to
www.irs.gov/Form990 for instructions and the latest information.
OMB No. 1545-0047
2020
Open to Public Inspection
Name of the organization
VITAL HEALTHCARE CAPITAL
Employer identification number
45-4014553
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 12, check only one box.)
1
2
3
4
5
6
7
8
9
10
11
12
a
b
c
d
e
f
Enter the number of supported organizations
...............................
g
Provide the following information about the supported organization(s).
(i) Name of supported organization
(ii) EIN
(iii) Type of organization (described on lines 1- 10 above (see instructions))
(iv) Is the organization listed in your governing document?
(v) Amount of monetary support (see instructions)
(vi) Amount of other support (see instructions)
Yes
No
Total
For Paperwork Reduction Act Notice, see the Instructions for Form 990 or 990-EZ.
Cat. No. 11285F
Schedule A (Form 990 or 990-EZ) 2020
Schedule A (Form 990 or 990-EZ) 2020
Page 2
Part II
Support Schedule for Organizations Described in Sections 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 failed to
qualify under the tests listed below, please complete Part III.)
Section A. Public Support
Calendar year (or fiscal year beginning in)
(a) 2016
(b) 2017
(c) 2018
(d) 2019
(e) 2020
(f) Total
1
Gifts, grants, contributions, and membership fees received. (Do not include any "unusual grant.") ..
320,000
4,855,000
712,255
5,887,255
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
320,000
4,855,000
712,255
5,887,255
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)..
4,921,606
6
Public support. Subtract line 5 from line 4.
965,649
Section B. Total Support
Calendar year
(or fiscal year beginning in)
(a) 2016
(b) 2017
(c) 2018
(d) 2019
(e) 2020
(f) Total
7
Amounts from line 4..
320,000
4,855,000
712,255
5,887,255
8
Gross income from interest, dividends, payments received on securities loans, rents, royalties and income from similar sources...
61,160
85,904
80,410
182,162
37,957
447,593
9
Net income from unrelated business activities, whether or not the business is regularly carried on..
10
Other income. Do not include gain or loss from the sale of capital assets (Explain in Part VI.)..
11
Total support. Add lines 7 through 10
6,334,848
12
12
1,609,087
13
First 5 years.
If the Form 990 is for the organization's first, second, third, fourth, or fifth tax year as a section 501(c)(3) organization,
check this box and stop here........................................
Section C. Computation of Public Support Percentage
14
14
15.240 %
15
15
4.000 %
16a
b
17a
b
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) 2020
Schedule A (Form 990 or 990-EZ) 2020
Page 3
Part III
Support Schedule for Organizations Described in Section 509(a)(2) (Complete only if you checked the box on line 10 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) 2016
(b) 2017
(c) 2018
(d) 2019
(e) 2020
(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) 2016
(b) 2017
(c) 2018
(d) 2019
(e) 2020
(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 VI.)
..
13
Total support. (Add lines 9, 10c, 11, and 12.)..
14
Section C. Computation of Public Support Percentage
15
15
16
16
Section D. Computation of Investment Income Percentage
17
17
18
18
19a
b
20
Schedule A (Form 990 or 990-EZ) 2020
Schedule A (Form 990 or 990-EZ) 2020
Page 4
Part IV
Supporting Organizations
(Complete only if you checked a box on line 12 of Part I. If you checked box 12a, of Part I, complete
Sections A and B. If you checked box 12b, of Part I, complete Sections A and C. If you checked box 12c, of
Part I, complete Sections A, D, and E. If you checked box12d, of Part I, complete Sections A and D, and
complete Part V.)
Section A. All Supporting Organizations
Yes
No
1
Are all of the organization’s supported organizations listed by name in the organization’s governing documents? If "No," describe in Part VI how the supported organizations are designated. If designated by class or purpose, describe the designation. If historic and continuing relationship, explain.
1
2
Did the organization have any supported organization that does not have an IRS determination of status under section 509(a)(1) or (2)? If "Yes," explain in Part VI how the organization determined that the supported organization was
described in section 509(a)(1) or (2).
2
3a
Did the organization have a supported organization described in section 501(c)(4), (5), or (6)?
If "Yes," answer lines 3b and 3c below.
3a
b
Did the organization confirm that each supported organization qualified under section 501(c)(4), (5), or (6) and satisfied the
public support tests under section 509(a)(2)? If "Yes," describe in Part VI when and how the organization made the
determination.
3b
c
Did the organization ensure that all support to such organizations was used exclusively for section 170(c)(2)(B) purposes?
If "Yes," explain in Part VI what controls the organization put in place to ensure such use.
3c
4a
Was any supported organization not organized in the United States ("foreign supported organization")?
If “Yes” and if you checked box 12a or 12b in Part I, answer lines 4b and 4c below.
4a
b
Did the organization have ultimate control and discretion in deciding whether to make grants to the foreign supported
organization? If “Yes,” describe in Part VI how the organization had such control and discretion despite being controlled or
supervised by or in connection with its supported organizations.
4b
c
Did the organization support any foreign supported organization that does not have an IRS determination under sections
501(c)(3) and 509(a)(1) or (2)?
If “Yes,” explain in Part VI what controls the organization used to ensure that all support to
the foreign supported organization was used exclusively for section 170(c)(2)(B) purposes.
4c
5a
Did the organization add, substitute, or remove any supported organizations during the tax year?
If “Yes,” answer lines 5b and 5c below (if applicable). Also, provide detail in Part VI, including (i) the names and EIN numbers
of the supported organizations added, substituted, or removed; (ii) the reasons for each such action; (iii) the authority under the
organization's organizing document authorizing such action; and (iv) how the action was accomplished (such as by
amendment to the organizing document).
5a
b
Type I or Type II only. Was any added or substituted supported organization part of a class already designated in the
organization's organizing document?
5b
c
Substitutions only. Was the substitution the result of an event beyond the organization's control?
5c
6
Did the organization provide support (whether in the form of grants or the provision of services or facilities) to anyone other
than (i) its supported organizations, (ii) individuals that are part of the charitable class benefited by one or more of its
supported organizations, or (iii) other supporting organizations that also support or benefit one or more of the filing
organization’s supported organizations?
If “Yes,” provide detail in Part VI.
6
7
Did the organization provide a grant, loan, compensation, or other similar payment to a substantial contributor (defined in
section 4958(c)(3)(C)), a family member of a substantial contributor, or a 35% controlled entity with regard to a
substantial contributor?
If “Yes,” complete Part I of Schedule L (Form 990 or 990-EZ) .
7
8
Did the organization make a loan to a disqualified person (as defined in section 4958) not described in line 7?
If “Yes,” complete Part I of Schedule L (Form 990 or 990-EZ).
8
9a
Was the organization controlled directly or indirectly at any time during the tax year by one or more disqualified persons, as
defined in section 4946 (other than foundation managers and organizations described in section 509(a)(1) or (2))?
If “Yes,” provide detail in Part VI.
9a
b
Did one or more disqualified persons (as defined in line 9a) hold a controlling interest in any entity in which the supporting
organization had an interest?
If “Yes,” provide detail in Part VI.
9b
c
Did a disqualified person (as defined in line 9a) have an ownership interest in, or derive any personal benefit from, assets
in which the supporting organization also had an interest?
If “Yes,” provide detail in Part VI.
9c
10a
Was the organization subject to the excess business holdings rules of section 4943 because of section 4943(f) (regarding certain
Type II supporting organizations, and all Type III non-functionally integrated supporting organizations)?
If “Yes,” answer line 10b below.
10a
b
Did the organization have any excess business holdings in the tax year? (Use Schedule C, Form 4720, to determine
whether the organization had excess business holdings).
10b
Schedule A (Form 990 or 990-EZ) 2020
Schedule A (Form 990 or 990-EZ) 2020
Page 5
Part IV
Supporting Organizations (continued)
Yes
No
11
Has the organization accepted a gift or contribution from any of the following persons?
a
A person who directly or indirectly controls, either alone or together with persons described in lines 11b and 11c below,
the governing body of a supported organization?
11a
b
A family member of a person described in 11a above?
11b
c
A 35% controlled entity of a person described in line 11a or 11b above?
If “Yes” to 11a, 11b, or 11c, provide detail in Part VI.
11c
Section B. Type I Supporting Organizations
Yes
No
1
Did the officers, directors, trustees, or membership of one or more supported organizations have the power to regularly appoint or
elect at least a majority of the organization’s directors or trustees at all times during the tax year?
If “No,” describe in Part VI how the supported organization(s) effectively operated, supervised, or controlled the
organization’s activities. If the organization had more than one supported organization, describe how the powers to appoint
and/or remove directors or trustees were allocated among the supported organizations and what conditions or restrictions, if any,
applied to such powers during the tax year.
1
2
Did the organization operate for the benefit of any supported organization other than the supported organization(s) that
operated, supervised, or controlled the supporting organization?
If “Yes,” explain in Part VI how providing such benefit
carried out the purposes of the supported organization(s) that operated, supervised or controlled the supporting
organization.
2
Section C. Type II Supporting Organizations
Yes
No
1
Were a majority of the organization’s directors or trustees during the tax year also a majority of the directors or trustees of
each of the organization’s supported organization(s)?
If “No,” describe in Part VI how control or management of the
supporting organization was vested in the same persons that controlled or managed the supported organization(s).
1
Section D. All Type III Supporting Organizations
Yes
No
1
Did the organization provide to each of its supported organizations, by the last day of the fifth month of the organization’s
tax year, (i) a written notice describing the type and amount of support provided during the prior tax year, (ii) a copy of the
Form 990 that was most recently filed as of the date of notification, and (iii) copies of the organization’s governing
documents in effect on the date of notification, to the extent not previously provided?
1
2
Were any of the organization’s officers, directors, or trustees either (i) appointed or elected by the supported organization(s)
or (ii) serving on the governing body of a supported organization?
If "No," explain in Part VI how the organization
maintained a close and continuous working relationship with the supported organization(s).
2
3
By reason of the relationship described in line 2 above, did the organization’s supported organizations have a significant voice in the
organization’s investment policies and in directing the use of the organization’s income or assets at all times during the tax year?
If "Yes," describe in Part VI the role the organization’s supported organizations played in this regard.
3
Section E. Type III Functionally-Integrated Supporting Organizations
1
Check the box next to the method that the organization used to satisfy the Integral Part Test during the year
(see instructions):
a
b
c
2
Activities Test. Answer lines 2a and 2b below.
Yes
No
a
Did substantially all of the organization’s activities during the tax year directly further the exempt purposes of the supported
organization(s) to which the organization was responsive?
If "Yes," then in Part VI identify those supported
organizations and explain how these activities directly furthered their exempt purposes, how the organization was
responsive to those supported organizations, and how the organization determined that these activities constituted
substantially all of its activities.
2a
b
Did the activities described in line 2a, above constitute activities that, but for the organization’s involvement, one
or more of the organization’s supported organization(s) would have been engaged in?
If "Yes," explain in Part VI the reasons for the
organization’s position that its supported organization(s) would have engaged in these activities but for the organization’s
involvement.
2b
3
Parent of Supported Organizations. Answer lines 3a and 3b below.
a
Did the organization have the power to regularly appoint or elect a majority of the officers, directors, or trustees of each of
the supported organizations?If "Yes" or "No", provide details in Part VI.
3a
b
Did the organization exercise a substantial degree of direction over the policies, programs and activities of each of its
supported organizations?
If "Yes," describe in Part VI. the role played by the organization in this regard.
3b
Schedule A (Form 990 or 990-EZ) 2020
Schedule A (Form 990 or 990-EZ) 2020
Page 6
Part V
Type III Non-Functionally Integrated 509(a)(3) Supporting Organizations
1
Section A - Adjusted Net Income
(A) Prior Year
(B) Current Year (optional)
1
Net short-term capital gain
1
2
Recoveries of prior-year distributions
2
3
Other gross income (see instructions)
3
4
Add lines 1 through 3
4
5
Depreciation and depletion
5
6
Portion of operating expenses paid or incurred for
production or collection of gross income or for
management, conservation, or maintenance of property
held for production of income (see instructions)
6
7
Other expenses (see instructions)
7
8
Adjusted Net Income (subtract lines 5, 6 and 7 from
line 4)
8
Section B - Minimum Asset Amount
(A) Prior Year
(B) Current Year (optional)
1
Aggregate fair market value of all non-exempt-use assets (see instructions for short tax year or assets held for part of year):
1
a
Average monthly value of securities
1a
b
Average monthly cash balances
1b
c
Fair market value of other non-exempt-use assets
1c
d
Total (add lines 1a, 1b, and 1c)
1d
e
Discount claimed for blockage or other factors
(explain in detail in Part VI):
2
Acquisition indebtedness applicable to non-exempt use assets
2
3
Subtract line 2 from line 1d
3
4
Cash deemed held for exempt use. Enter 0.015 of line 3 (for greater amount, see instructions).
4
5
Net value of non-exempt-use assets (subtract line 4 from line 3)
5
6
Multiply line 5 by 0.035
6
7
Recoveries of prior-year distributions
7
8
Minimum Asset Amount (add line 7 to line 6)
8
Section C - Distributable Amount
Current Year
1
Adjusted net income for prior year (from Section A,
line 8, Column A)
1
2
Enter 85% of line 1
2
3
Minimum asset amount for prior year (from Section B,
line 8, Column A)
3
4
Enter greater of line 2 or line 3
4
5
Income tax imposed in prior year
5
6
Distributable Amount. Subtract line 5 from line 4, unless subject to emergency temporary reduction (see instructions)
6
7
Schedule A (Form 990 or 990-EZ) 2020
Schedule A (Form 990 or 990-EZ) 2020
Page 7
Part V
Type III Non-Functionally Integrated 509(a)(3) Supporting Organizations(continued)
Section D - Distributions
Current Year
1
Amounts paid to supported organizations to accomplish exempt purposes
1
2
Amounts paid to perform activity that directly furthers exempt purposes of supported organizations, in excess of income from activity
2
3
Administrative expenses paid to accomplish exempt purposes of supported organizations
3
4
Amounts paid to acquire exempt-use assets
4
5
Qualified set-aside amounts (prior IRS approval required - provide details in Part VI)
5
6
Other distributions (describe in Part VI). See instructions
6
7Total annual distributions. Add lines 1 through 6.
7
8
Distributions to attentive supported organizations to which the organization is responsive (provide details in Part VI). See instructions
8
9
Distributable amount for 2020 from Section C, line 6
9
10
Line 8 amount divided by Line 9 amount
10
Section E - Distribution Allocations (see instructions)
(i) Excess Distributions
(ii) Underdistributions Pre-2020
(iii) Distributable Amount for 2020
1
Distributable amount for 2020 from Section C, line 6
2
Underdistributions, if any, for years prior to 2019 (reasonable cause required-- explain in Part VI). See instructions.
3
Excess distributions carryover, if any, to 2020:
a
From 2015.......
b
From 2016.......
c
From 2017.......
d
From 2018.......
e
From 2019.......
fTotal of lines 3a through e
g
Applied to underdistributions of prior years
h
Applied to 2020 distributable amount
i
Carryover from 2015 not applied (see instructions)
j Remainder. Subtract lines 3g, 3h, and 3i from line 3f.
4Distributions for 2020 from Section D, line 7:
$
a
Applied to underdistributions of prior years
b
Applied to 2020 distributable amount
c
Remainder. Subtract lines 4a and 4b from line 4.
5
Remaining underdistributions for years prior to 2020, if any. Subtract lines 3g and 4a from line 2. If the amount is greater than zero, explain in Part VI. See instructions.
6
Remaining underdistributions for 2020. Subtract lines 3h and 4b from line 1. If the amount is greater than zero, explain in Part VI. See instructions.
7 Excess distributions carryover to 2021. Add lines 3j and 4c.
8
Breakdown of line 7:
a
Excess from 2016.....
b
Excess from 2017.....
c
Excess from 2018.....
d
Excess from 2019.....
e
Excess from 2020.....
Schedule A (Form 990 or 990-EZ) (2020)
Schedule A (Form 990 or 990-EZ) 2020
Page 8
Part VI
Supplemental Information.
Provide the explanations required by Part II, line 10; Part II, line 17a or 17b; Part III, line 12; Part IV, Section A, lines 1, 2, 3b, 3c, 4b, 4c, 5a, 6, 9a, 9b, 9c, 11a, 11b, and 11c; Part IV, Section B, lines 1 and 2; Part IV, Section C, line 1; Part IV, Section D, lines 2 and 3; Part IV, Section E, lines 1c, 2a, 2b, 3a and 3b; Part V, line 1; Part V, Section B, line 1e; Part V Section D, lines 5, 6, and 8; and Part V, Section E, lines 2, 5, and 6. Also complete this part for any additional information. (See instructions).
Facts And Circumstances Test
VITAL HEALTHCARE CAPITAL (THE ORGANIZATION") WAS ESTABLISHED TO ASSIST HEALTHCARE PROVIDERS IN DISADVANTAGED COMMUNITIES PROVIDE, IMPROVE AND EXPAND QUALITY HEALTHCARE AND CREATE GOOD HEALTHCARE JOBS. THE ORGANIZATION IS A CERTIFIED COMMUNITY DEVELOPMENT FINANCIAL INSTITUTION ("CDFI"). THE ORGANIZATION QUALIFIES AS A PUBLICLY SUPPORTED PUBLIC CHARITY DESCRIBED IN INTERNAL REVENUE CODE SECTIONS 509(A)(1) AND 170(B)(1)(A)(VI) BECAUSE IT MEETS THE 10% FACTS AND CIRCUMSTANCES TEST SET FORTH IN TREASURY REGULATION SECTION 1.170A-9(F)(3) FOR THE 2020 TAX YEAR. PUBLIC SUPPORT:THE PERCENTAGE OF SUPPORT NORMALLY RECEIVED BY THE ORGANIZATION FROM GOVERNMENTAL UNITS AND CONTRIBUTIONS MADE DIRECTLY OR INDIRECTLY BY THE GENERAL PUBLIC, INCLUDING CONTRIBUTIONS BY OTHER PUBLICLY SUPPORTED ORGANIZATIONS, EQUALS AT LEAST 10% OF THE TOTAL SUPPORT RECEIVED BY THE ORGANIZATION. FOR ITS 2020 TAXABLE YEAR, THE ORGANIZATION HAS A PUBLIC SUPPORT PERCENTAGE OF 15.24%, EVIDENCING ITS BROAD PUBLIC SUPPORT AND THE SUCCESS OF ITS PROGRAM TO RAISE SUPPORT FROM THE GENERAL PUBLIC. THROUGHOUT ITS EXISTENCE, THE ORGANIZATION HAS MAINTAINED A PROGRAM FOR SOLICITATION OF FUNDS FROM THE GENERAL PUBLIC AND COMMUNITY. THE SOURCES OF THE ORGANIZATION'S SUPPORT CONSIST OF A RANGE OF GOVERNMENT, PRIVATE FOUNDATION AND CORPORATE FUNDERS (AS OPPOSED TO MEMBERS OF A SINGLE FAMILY) THAT ARE INTERESTED IN SOCIAL IMPACT INVESTING AND SUPPORTING INNOVATIVE APPROACHES TO HEALTHCARE REFORM WITH A FOCUS ON LOW-INCOME COMMUNITIES. GOVERNING BODY:THE ORGANIZATION IS GOVERNED BY A BOARD CONSISTING OF INDIVIDUALS WHO ARE PROMINENT MEMBERS OF THE COMMUNITY, HAVE SPECIAL KNOWLEDGE AND EXPERTISE INNOVATING FINANCING, COMMUNITY DEVELOPMENT AND HEALTHCARE REFORM, AS WELL AS A COLLECTIVE BACKGROUND IN DONOR DEVELOPMENT, NON-PROFIT MANAGEMENT AND FUNDRAISING:HOWARD RIFKIN IS CORPORATION COUNSEL FOR THE CITY OF HARTFORD. HE PREVIOUSLY SERVED AS EXECUTIVE DIRECTOR OF THE PARTNERSHIP FOR STRONG COMMUNITIES, DEPUTY TREASURER OF THE STATE OF CONNECTICUT, AND COUNSEL TO THE CT LT. GOVERNOR. MR. RIFKIN HAS SERVED ON THE BOARDS OF THE UNIVERSAL HEALTHCARE FOUNDATION OF CONNECTICUT AND THE CONNECTICUT HEALTH AND FINANCING AUTHORITY. HE IS AN EXPERT IN PUBLIC FINANCE. DEBORAH BACHRACH IS A PARTNER AT MANATT, PHELPS & PHILLIPS, LLP WHERE SHE ADVISES STATES, PROVIDERS AND OTHER STAKEHOLDERS ON THE REQUIREMENTS AND OPPORTUNITIES PRESENTED BY HEALTHCARE REFORM. SHE IS THE FORMER MEDICAID DIRECTOR AND DEPUTY COMMISSIONER OF HEALTH FOR NEW YORK STATE. IN THAT CAPACITY, SHE WAS RESPONSIBLE FOR COVERAGE, CARE AND PAYMENT POLICIES FOR OVER FOUR MILLION CHILDREN AND ADULTS. MS. BACHRACH HAS OVER 20 YEARS OF HEALTH POLICY EXPERIENCE, FOCUSED ON IMPROVING HEALTHCARE PAYMENT AND DELIVERY TO LOW AND MODERATE INCOME POPULATIONS.MARTIN EAKES IS CO-FOUNDER AND CEO OF SELF-HELP AND THE CENTER FOR RESPONSIBLE LENDING. MR. EAKES IS A NATIONALLY RECOGNIZED EXPERT ON DEVELOPMENT FINANCE AND HAS BEEN HONORED BY THE JOHN D. AND CATHERINE T. MACARTHUR FOUNDATION, AARP, OPPORTUNITY FINANCE NETWORK AND THE LEADERSHIP CONFERENCE FOR CIVIL RIGHTS. HE ALSO CURRENTLY SERVES ON THE BOARD OF TRUSTEES OF THE FORD FOUNDATION. LOUIS GIRAUDO IS CO-FOUNDER AND SENIOR MANAGING PARTNER OF GESD CAPITAL PARTNERS. HE CURRENTLY SERVES AS CHAIRMAN OF ANDRE BOUDIN BAKERIES, INC., AND AS CHAIRMAN OF MILTON'S BAKING COMPANY. HE IS PAST EXECUTIVE CHAIR OF PABST BREWING COMPANY, PAST CHAIR AND CEO OF PACIFIC COAST BAKING COMPANY AND MOTHERS CAKE AND COOKIE COMPANY. MR. GIRAUDO HAS PRACTICED CORPORATE, BUSINESS AND LABOR LAW IN CALIFORNIA SINCE 1974. HE IS A MEMBER OF THE GREAT ATLANTIC & PACIFIC TEA COMPANY BOARD OF DIRECTORS. ADDITIONALLY, HE HAS HELD SEVERAL APPOINTED PUBLIC SERVICE POSITIONS THROUGHOUT HIS CAREER INCLUDING APPOINTMENTS ON NUMEROUS NOT-FOR-PROFIT BOARDS. FRANCES PADILLA IS PRESIDENT OF UNIVERSAL HEALTHCARE FOUNDATION OF CONNECTICUT. FRANCES SERVES ON THE CONNECTICUT HEALTH CARE CABINET FOR WHICH SHE CHAIRS A WORK GROUP ON PRESCRIPTION DRUG COSTS FOCUSING ON TRANSPARENCY AND FAIR PRICING. SHE ALSO SERVES ON THE STEERING COMMITTEE OF THE STATE INNOVATION MODEL (SIM) INITIATIVE, ADVISING ON IMPLEMENTATION OF A $45 MILLION FEDERAL GRANT TO THE STATE OF CONNECTICUT. SIM IS DESIGNED TO IMPROVE COMMUNITY HEALTH AND ELIMINATE INEQUITIES, ENSURE SUPERIOR ACCESS AND QUALITY TO CARE, EMPOWER INDIVIDUALS TO ACTIVELY PARTICIPATE IN THEIR CARE, AND IMPROVE AFFORDABILITY OF HEALTH CARE COSTS. IN ADDITION, FRANCES IS A FOUNDING MEMBER AND CO-CHAIR OF THE LEADERSHIP COUNCIL OF THE CONNECTICUT CHOOSING WISELY COLLABORATIVE. SHE SERVES ON THE BOARDS OF CONNECTICUT COUNCIL FOR PHILANTHROPY, QUALIDIGM, AND PLANNED PARENTHOOD OF SOUTHERN NEW ENGLAND.CINDY WILLARD IS PRESIDENT, FULL POTENTIAL PHILANTHROPY, AND UNTIL RECENTLY SENIOR PROGRAM OFFICER AT THE DENVER FOUNDATION, WHERE SHE COORDINATED THE COLORADO HEALTH ACCESS FUND (CHAF), A TIME-LIMITED $30 MILLION BEHAVIORAL HEALTH POOL WHICH SUNSET LAST YEAR. IN THAT ROLE SHE GOT TO KNOW V-CAP. CINDY SERVES ON THE BOARD OF THE COLORADO NONPROFIT LOAN FUND; IS A LEADERSHIP ADVISORY BOARD MEMBER FOR THE ROCKY MOUNTAIN MICRO FINANCE INSTITUTE; SERVES AS VICE CHAIR AT THE WORKLIFE PARTNERSHIP; AND IS A SENIOR ADVISOR AT THE IMPACT FINANCE CENTER.PROGRAM SERVICES:V-CAP PROVIDES FLEXIBLE FINANCING AND DEVELOPMENT SERVICES TO HELP COMMUNITY HEALTHCARE PROVIDERS DELIVER INNOVATIVE, COST-EFFECTIVE AND HIGH QUALITY HEALTHCARE AND CREATE QUALITY FRONTLINE HEALTHCARE JOBS IN LOW-INCOME AND DISTRESSED COMMUNITIES, WHERE HEALTHCARE PATIENTS DISPROPORTIONATELY CONSIST OF THOSE ON MEDICAID AND THE UNINSURED. SPECIFICALLY, THE ORGANIZATION OFFERS LOAN PRODUCTS AND SUPPORT SERVICES TO COMMUNITY HEALTHCARE PROVIDERS WHO DO NOT HAVE SUFFICIENT ACCESS TO CAPITAL TO HELP THEM IMPROVE HEALTH OUTCOMES AND EMPLOYMENT OPPORTUNITIES FOR THE BENEFIT OF THE PUBLIC IN LOW-INCOME AND DISTRESSED COMMUNITIES. THE ORGANIZATION SUPPORTS COMMUNITY HEALTHCARE PROVIDERS THAT ARE STRIVING TO FILL AN IMPORTANT GAP IN OUR NATION'S HEALTHCARE COVERAGE BY IMPROVING HEALTH AND PREVENTING DISEASE AMONG THE MOST UNDERSERVED AND AT-RISK POPULATIONS. IN THIS WAY THE ORGANIZATION WORKS TO ENSURE PUBLIC ACCESS TO AND PUBLIC BENEFIT FROM IMPROVED HIGH QUALITY HEALTHCARE.
Return Reference
Explanation
SCHEDULE A, PART II:
THE ORGANIZATION IS REPORTING ADDITIONAL $448,703 IN CURRENT YEAR GRANT REVENUE. THIS AMOUNT REPRESENTS GRANT PLEDGED BUT NOT COLLECTED DURING THE YEAR. THIS IS A DIFFERENCE RESULTING FROM A CHANGE IN GAAP WITH RESPECT TO ACCOUNTING FOR GRANTS.
Schedule A (Form 990 or 990-EZ) 2020
Additional Data
Software ID:
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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 990-EZ or to provide any additional information.
Attach to Form 990 or 990-EZ.
Go to www.irs.gov/Form990 for the latest information.
OMB No. 1545-0047
2020
Open to Public Inspection
Name of the organization
VITAL HEALTHCARE CAPITAL
Employer identification number
45-4014553
Return Reference
Explanation
FORM 990, PART VI, SECTION A, LINE 8B
MINUTES AREN'T REQUIRED AS THE COMMITTEES DO NOT ACT ON BEHALF OF BOARD.
FORM 990, PART VI, SECTION B, LINE 11B
THE FORM 990 IS PREPARED BY AN INDEPENDENT ACCOUNTANT, REVIEWED AND APPROVED BY THE AUDIT COMMITTEE AND DISTRIBUTED TO THE BOARD OF DIRECTORS, AS A WHOLE, FOR THEIR REVIEW BEFORE FILING.
FORM 990, PART VI, SECTION B, LINE 12C
THE ANNUAL CONFLICT OF INTEREST POLICY IS MONITORED BY DISCUSSION EACH YEAR WITH THE RESPECTIVE BOARD MEMBERS AND MANAGEMENT AND BY OBTAINING ANNUAL SIGNED STATEMENTS FROM EACH SUCH INDIVIDUAL REGARDING THE POLICY.
FORM 990, PART VI, SECTION B, LINE 15
COMPENSATION PROCESS: THE BOARD OF DIRECTORS SETS THE COMPENSATION OF THE OFFICERS.
FORM 990, PART VI, SECTION C, LINE 19
THE GOVERNING DOCUMENTS, CONFLICT OF INTEREST POLICY AND FINANCIAL STATEMENTS ARE AVAILABLE UPON REQUEST.
FORM 990, PART IX, LINE 11G
CONTRACTED SERVICES: PROGRAM SERVICE EXPENSES 88,325. MANAGEMENT AND GENERAL EXPENSES 48,696. FUNDRAISING EXPENSES 0. TOTAL EXPENSES 137,021. OTHER PROFESSIONAL FEES: PROGRAM SERVICE EXPENSES 12,550. MANAGEMENT AND GENERAL EXPENSES 0. FUNDRAISING EXPENSES 0. TOTAL EXPENSES 12,550.
FORM 990, PART XII, LINE 2C
THE PROCESS OF OVERSEEING THE AUDIT AND SELECTION OF INDEPENDENT ACCOUNTANT HAS NOT CHANGED FROM THE PRIOR YEAR.
For Paperwork Reduction Act Notice, see the Instructions for Form 990 or 990-EZ.