| Category | Amount | Net Investment Income | Adjusted Net Income | Disbursements for Charitable Purposes |
|---|
| 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). Treatment of Qualifying Distributions Election Pursuant to IRC Section 4942h)2)and Reg. 53.4942a)3d)2) the Foundation elects to treat qualifying distributions not treated as made out of the undistributed income of the immediately preceding tax year as made out of undistributed income from the tax year ended June 30 2021. Election for Treatment of Unused Prior Year Corpus Distributions Pursuant to IRC Section 4942g)3) and Reg. 53.4942a)3c)2)iv) the Foundation elects to treat unused prior tax years distributions that were treated as corpus distributions as distributions from corpus in the current tax year. |