Attach to Form 990 or Form 990-EZ.
Go to
www.irs.gov/Form990 for instructions and the latest information.
| (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 | |||||
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Total |
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Calendar year
(or fiscal year beginning in)
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(a) 2018 | (b) 2019 | (c) 2020 | (d) 2021 | (e) 2022 | (f) Total | |
|---|---|---|---|---|---|---|---|
| 1 | Gifts, grants, contributions, and membership fees received. (Do not include any "unusual grant.") .. | ||||||
| 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. | ||||||
Calendar year
(or fiscal year beginning in)
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(a) 2018 | (b) 2019 | (c) 2020 | (d) 2021 | (e) 2022 | (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. Do not include gain or loss from the sale of capital assets (Explain in Part VI.).. | ||||||
| 11 | Total support. Add lines 7 through 10 | ||||||
Calendar year (or fiscal year beginning in) ![]() |
(a) 2018 | (b) 2019 | (c) 2020 | (d) 2021 | (e) 2022 | (f) Total | |
|---|---|---|---|---|---|---|---|
| 1 | Gifts, grants, contributions, and membership fees received. (Do not include any "unusual grants.") . | 151,338 | 154,336 | 286,321 | 467,825 | 351,183 | 1,411,003 |
| 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 | 253,057 | 354,720 | 26,340 | 96,035 | 107,193 | 837,345 |
| 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 | 404,395 | 509,056 | 312,661 | 563,860 | 458,376 | 2,248,348 |
| 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.) | 2,248,348 | |||||
Calendar year (or fiscal year beginning in) ![]() |
(a) 2018 | (b) 2019 | (c) 2020 | (d) 2021 | (e) 2022 | (f) Total | |
|---|---|---|---|---|---|---|---|
| 9 | Amounts from line 6... | 404,395 | 509,056 | 312,661 | 563,860 | 458,376 | 2,248,348 |
| 10a | Gross income from interest, dividends, payments received on securities loans, rents, royalties and income from similar sources.. | 2,011 | 1,272 | 480 | 3,763 | ||
| b | Unrelated business taxable income (less section 511 taxes) from businesses acquired after June 30, 1975. | ||||||
| c | Add lines 10a and 10b. | 2,011 | 1,272 | 480 | 3,763 | ||
| 11 | Net income from unrelated business activities not included on 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.).. | 406,406 | 510,328 | 313,141 | 563,860 | 458,376 | 2,252,111 |
| Section A - Adjusted Net Income | (A) Prior Year |
(B) Current Year (optional) |
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| 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) |
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| 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): |
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| 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 | ||||
| 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 2022 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-2022 |
(iii) Distributable Amount for 2022 |
|
|---|---|---|---|---|
| 1 Distributable amount for 2022 from Section C, line 6 | ||||
|
2
Underdistributions, if any, for years prior to 2022 (reasonable cause required-- explain in Part VI).
See instructions. |
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| 3 Excess distributions carryover, if any, to 2022: | ||||
| a From 2017....... | ||||
| b From 2018....... | ||||
| c From 2019....... | ||||
| d From 2020....... | ||||
| e From 2021....... | ||||
| fTotal of lines 3a through e | ||||
| g Applied to underdistributions of prior years | ||||
| h Applied to 2022 distributable amount | ||||
|
i
Carryover from 2017 not applied (see instructions) |
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| j Remainder. Subtract lines 3g, 3h, and 3i from line 3f. | ||||
| 4Distributions for 2022 from Section D, line 7: | ||||
| $ | ||||
| a Applied to underdistributions of prior years | ||||
| b Applied to 2022 distributable amount | ||||
| c Remainder. Subtract lines 4a and 4b from line 4. | ||||
|
5
Remaining underdistributions for years prior to 2022, if any. Subtract lines 3g and 4a from line 2. If the amount is greater than zero, explain in Part VI. See instructions. |
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|
6
Remaining underdistributions for 2022. Subtract lines 3h and 4b from line 1. If the amount is greater than zero, explain in Part VI. See instructions. |
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7 Excess distributions carryover to 2023. Add lines 3j and 4c. |
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| 8 Breakdown of line 7: | ||||
| a Excess from 2018..... | ||||
| b Excess from 2019..... | ||||
| c Excess from 2020..... | ||||
| d Excess from 2021..... | ||||
| e Excess from 2022..... | ||||
| Facts And Circumstances Test |
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| Return Reference | Explanation |
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| Software ID: | |
| Software Version: |
Attach to Form 990 or 990-EZ.
Go to www.irs.gov/Form990 for the latest information.
| Return Reference | Explanation |
|---|---|
| FORM 990 - ORGANIZATION'S MISSION | PROVIDING EDUCATIONAL OPPORTUNITIES TO MEMBERS AND COMMITTED TO THE STUDY AND APPLICATION OF INTEGRATIVE AND COMPLEMENTARY THERAPIES FOR CANCER PATIENTS. IT PROVIDES A CONVENIENT FORUM FOR PRESENTATION, DISCUSSION AND PEER REVIEW OF EVIDENCE BASED RESEARCH AND TREATMENT. |
| FORM 990 | PART IV, LINE 25A - EXCESS BENEFIT TRANSACTION AS DETAILED IN THE RESPONSE TO PART IV, LINE 3, BELOW, IN 2021, HAUCK & ASSOCIATES WAS IN A POSITION TO EXERCISE SUBSTANTIAL INFLUENCE OVER THE ORGANIZATION AND THUS MET THE DEFINITION OF A "DISQUALIFIED PERSON." ACCORDINGLY, THE MISAPPROPRIATION OF THE ORGANIZATION'S FUNDS BY HAUCK & ASSOCIATES' PRINCIPAL MANAGER, GRAHAM HAUCK, DESCRIBED IN THE RESPONSE TO PART VI, LINE 5, BELOW, CONSTITUTES AN EXCESS BENEFIT TRANSACTION WHICH IS DISCLOSED ON SCHEDULE L. |
| FORM 990, PART VI | PART VI, LINE 20 - BOOKS AND RECORDS AS DISCUSSED IN THE RESPONSES TO PART VI, LINES 3 AND 5, BELOW, IN 2021, THE ORGANIZATION WAS UNAWARE OF H&A'S MALFEASANCE AND, AS PART OF ITS DUTIES UNDER THE SERVICES AGREEMENT, H&A WAS GIVEN CUSTODY OF THE ORGANIZATION'S BOOKS AND RECORDS. SINCE LEARNING OF H&A'S MISCONDUCT, THE ORGANIZATION HAS TAKEN SIGNIFICANT STEPS TO RECOVER ITS BOOKS AND RECORDS FROM H&A. THE RECOVERED BOOKS AND RECORDS ARE NOW IN THE POSSESSION OF MEMBERS OF THE BOARD OF TRUSTEES. |
| FORM 990, PAGE 6, PART VI, LINE 3 | THE ORGANIZATION IS STAFFED BY A GROUP OF VOLUNTEER HEALTHCARE PROVIDERS AND PATIENT ADVOCATES. FOR THIS REASON, THE ORGANIZATION OUTSOURCES FULL TIME MANAGEMENT OF ITS OPERATIONS TO THIRD-PARTY CONSULTANCY FIRMS SPECIALIZING IN NONPROFIT MANAGEMENT. EFFECTIVE JANUARY 1, 2021, THE ORGANIZATION ENGAGED THE WASHINGTON, D.C. BASED CONSULTING FIRM, HAUCK & ASSOCIATES ("H&A"), TO MANAGE ITS OPERATIONS. PURSUANT TO THE WRITTEN AGREEMENT ENTERED INTO BETWEEN H&A AND THE ORGANIZATION ("SERVICES AGREEMENT"), H&A'S MANAGEMENT SERVICES INCLUDED, WITHOUT LIMITATION, FINANCE, ACCOUNTING, HUMAN RESOURCES, EVENT PLANNING AND LEGAL. IN FURTHERANCE OF ITS MANAGEMENT ROLE, H&A WAS GIVEN CUSTODY OF THE ORGANIZATIONS BOOKS AND RECORDS AND GRANTED TO ACCESS TO, AMONG OTHER THINGS, THE ORGANIZATION'S FINANCIAL ACCOUNTS, WEBSITES, KEYS AND CREDIT CARDS. AS FURTHER DISCUSSED IN THE RESPONSE TO PART VI, LINE 5, BELOW, ALTHOUGH NOT DISCOVERED UNTIL 2023, H&A ABUSED ITS MANAGEMENT POSITION TO MISAPPROPRIATE FUNDS FROM THE ORGANIZATION IN 2021 AND CONCEAL ITS ACTIONS FROM THE ORGANIZATION. IT WAS ALSO DISCOVERED IN 2023 THAT H&A CHARGED THE ORGANIZATION MANAGEMENT FEES FOR SERVICES THAT DID NOT COMPLY WITH THE DUTIES AND STANDARDS OUTLINED IN THE SERVICES AGREEMENT. FOR THESE REASONS, THE ORGANIZATION TERMINATED ITS RELATIONSHIP WITH H&A IN MAY 2023. |
| FORM 990, PAGE 6, PART VI, LINE 5 | AS DISCUSSED IN THE RESPONSE TO PART VI, LINE 3, ABOVE, THE ORGANIZATION ENGAGED H&A TO SERVE AS MANAGER BEGINNING ON JANUARY 1, 2021. H&A CONTINUED IN SUCH CAPACITY UNTIL ON OR ABOUT MAY 10, 2023, WHEN THE ORGANIZATION LEARNED THAT GRAHAM HAUCK ("HAUCK"), THE PRINCIPAL MANAGER AT H&A, PLEAD GUILTY IN FEDERAL COURT TO MISAPPROPRIATION OF FUNDS OF ANOTHER NONPROFIT ORGANIZATION MANAGED BY H&A. IMMEDIATELY THEREAFTER, THE ORGANIZATION TERMINATED H&A AND IMPLEMENTED VARIOUS CORRECTIVE ACTIONS. THESE ACTIONS INCLUDED: (1) SECURING THE ORGANIZATION'S ASSETS TO PREVENT FURTHER LOSSES; (2) RECOVERING PAPER AND ELECTRONIC FILES AND FINANCIAL BOOKS AND RECORDS OF THE ORGANIZATION; (3) REVOKING H&A'S ACCESS TO THE ORGANIZATION'S FINANCIAL ACCOUNTS, INTERNET SITES, KEYS, CREDIT CARDS AND THE LIKE; (4) IDENTIFYING A NEW MANAGEMENT COMPANY TO REPLACE H&A AND ENGAGING TAD TUTTLE, CPA AS THE ORGANIZATION'S INDEPENDENT OUTSIDE ACCOUNTANT; (5) ENGAGING A FORENSIC ACCOUNTANT, CHESS CONSULTING LLC ("CHESS CONSULTING"), TO DETECT ANY MISAPPROPRIATION OF THE ORGANIZATION'S FUNDS AND DETERMINE THE AMOUNT INVOLVED; AND (6) RETAINING EXPERIENCED OUTSIDE COUNSEL, NAMELY: (I) ZACHARY R. HAFER, ESQUIRE, A PARTNER IN COOLEY LLP'S WHITE COLLAR DEFENSE AND INVESTIGATIONS PRACTICE GROUP AND FORMER ASSISTANT US ATTORNEY, (II) MICHAEL I. SANDERS, ESQUIRE, A PARTNER IN BLANK ROME LLP'S TAX GROUP AND PROFESSOR AT GEORGETOWN UNIVERSITY LAW CENTER, AND AN EXPERT IN THE FIELD OF TAX-EXEMPT ORGANIZATIONS, AND (III) T. MALCOLM SANDILANDS, ESQUIRE, A PARTNER IN BLANK ROME LLP'S CORPORATE GROUP. INTERNALLY, THE ORGANIZATION HIRED NELSON LIN AS ITS FIRST INSIDE GENERAL COUNSEL TO COORDINATE ITS LEGAL RESPONSE, WHICH INCLUDES CRISIS MANAGEMENT AND SUPERVISION OF THE ORGANIZATION'S RECOVERY EFFORTS. IN ADDITION, SINCE LEARNING OF HAUCK'S GUILTY PLEA, THE EXECUTIVE COMMITTEE OF THE BOARD OF TRUSTEES HAS WORKED CONTINUOUSLY TO ENSURE THAT H&A IS UNABLE TO ACCESS OR CONTROL ANY ASPECT OF THE ORGANIZATION'S OPERATIONS. FOLLOWING ITS ENGAGEMENT, CHESS CONSULTING IMMEDIATELY BEGAN ITS FORENSIC REVIEW OF THE ORGANIZATION'S AVAILABLE FINANCIAL INFORMATION, INCLUDING BUT NOT LIMITED TO, COPIES OF BANK STATEMENTS, YEAR-END BALANCE SHEETS AND INCOME STATEMENTS, GRANT AND CONTRIBUTIONS SUPPORT, CERTAIN THIRD-PARTY INVOICES, AND OTHER RELEVANT DOCUMENTATION. BASED ON THIS REVIEW, CHESS CONSULTING GENERATED A REPORT (THE "FORENSIC REPORT"), A COPY OF WHICH IS AVAILABLE UPON REQUEST. THE FORENSIC REPORT ESTIMATES THE RANGE OF POTENTIAL MISAPPROPRIATED FUNDS DURING THE PERIOD FROM JANUARY 2021 THROUGH APRIL 2023 AS BETWEEN 893,088 AND 936,167. THE LOW END OF THE ESTIMATED RANGE IS BASED ON AN ANALYSIS OF EXCESS PAYMENTS MADE BY THE ORGANIZATION TO H&A DURING THE PERIOD FROM JANUARY 2021 THROUGH APRIL 2023. THIS INCLUDES 263,900 OF MANAGEMENT FEES COLLECTED BY H&A FOR SERVICES THAT DID NOT MEET THE REQUIREMENTS AND STANDARDS SET FORTH IN THE SERVICES AGREEMENT. THE HIGH END OF THE ESTIMATED RANGE IS BASED ON A COMPARISON OF THE ORGANIZATION'S BANK ACTIVITY TO ITS FINANCIAL STATEMENTS DURING THE PERIOD FROM JANUARY 2019 THROUGH APRIL 2023. THE FORENSIC REPORT ACKNOWLEDGES THAT THE ANALYSES THEREIN ARE BASED ON THE BEST INFORMATION AVAILABLE BECAUSE, AS MENTIONED ABOVE, H&A WAS RESPONSIBLE FOR MAINTAINING THE ORGANIZATION'S BOOKS AND RECORDS, INCLUDING TRANSACTION SUPPORT, SOME OF WHICH THE ORGANIZATION HAS BEEN UNABLE TO RECOVER TO DATE. THE ORGANIZATION IS CURRENTLY WORKING WITH ITS OUTSIDE COUNSEL, MALCOLM SANDILANDS AND FORMER ASSISTANT US ATTORNEY, ZACHARY HAFER, TO OBTAIN RESTITUTION THROUGH CO-OPERATION WITH THE DEPARTMENT OF JUSTICE (THE "DOJ") IN ITS CONTINUING INVESTIGATION OF H&A AND HAUCK. AT THIS TIME, THE ORGANIZATION BELIEVES THAT IT WILL BE ABLE TO RECOVER A SUBSTANTIAL PORTION OF THE MISAPPROPRIATED FUNDS THROUGH THE DOJ. TO THE EXTENT THE RESTITUTION RECEIVED FROM THE DOJ DOES NOT FULLY COVER THE MISAPPROPRIATED FUNDS, THE ORGANIZATION WILL DISCUSS WITH COUNSEL THE COSTS AND RISKS OF COMMENCING LITIGATION TO RECOVER THE BALANCE FROM HAUCK AND/OR H&A. IN ADDITION TO THE CORRECTIVE MEASURES ALREADY TAKEN, THE ORGANIZATION WILL ALSO TAKE THE FOLLOWING STEPS TO ENSURE THAT A SIMILAR EVENT DOES NOT OCCUR IN THE FUTURE. ALL OF THE ORGANIZATION'S TRUSTEES AND OFFICERS WILL BE REQUIRED TO ATTEND MANDATORY TRAINING SESSIONS PRESENTED BY MICHAEL I. SANDERS, ESQUIRE, ON THEIR FIDUCIARY DUTIES AND OBLIGATIONS TO THE ORGANIZATION. AS MENTIONED ABOVE, MICHAEL I. SANDERS, ESQUIRE IS A LAW PROFESSOR IN THE GRADUATE TAX PROGRAM AT THE GEORGETOWN UNIVERSITY LAW CENTER AND NOTED EXPERT IN THE FIELD OF TAX-EXEMPT ORGANIZATIONS. ADDITIONALLY, THE BOARD OF TRUSTEES WILL AMEND THE ORGANIZATION'S BYLAWS TO MANDATE THE CREATION OF AN AUDIT AND FINANCE COMMITTEE (THE "COMMITTEE"). THE COMMITTEE WILL BE COMPRISED OF AT LEAST THREE (3) TRUSTEES AND WILL BE RESPONSIBLE FOR OVERSEEING ALL AUDITS AND THE OVERALL FISCAL AFFAIRS OF THE ORGANIZATION. THE COMMITTEE WILL DEVELOP AND RECOMMEND AN ANNUAL BUDGET FOR ADOPTION BY THE BOARD OF TRUSTEES, AS WELL AS TAKE STEPS TO ENSURE THAT ALL OF THE ORGANIZATION'S FUNDS ARE DEPOSITED, INVESTED AND WITHDRAWN IN A MANNER CONSISTENT WITH ALL APPLICABLE STATUTES AND REGULATIONS, INCLUDING, WITHOUT LIMITATION, SECTION 501(C)(3) OF THE INTERNAL REVENUE CODE AND THE TREASURY REGULATIONS PROMULGATED THEREUNDER. THE COMMITTEE WILL ENSURE THAT ALL PROPER FEDERAL AND STATE TAX FILINGS ARE TIMELY FILED, AND THAT ANY TAXES DUES ARE PAID OR OTHERWISE ADDRESSED. THE COMMITTEE WILL ALSO ESTABLISH AND OVERSEE ADDITIONAL INTERNAL CONTROLS TO, AMONG OTHER THINGS, PREVENT MISUSE AND MISAPPROPRIATION OF THE ORGANIZATION'S FUNDS. THE COMMITTEE WILL MEET AT LEAST SEMI-ANNUALLY WITH THE FULL BOARD OF TRUSTEES AND WITH THE ORGANIZATION'S PROFESSIONAL ADVISORS TO: (I) REVIEW AND DISCUSS THE ADEQUACY AND EFFECTIVENESS OF, AND ANY MATERIAL RISKS AND WEAKNESSES IN, THE ORGANIZATION'S INTERNAL CONTROLS AND ACCOUNTING AND FINANCIAL REPORTING; AND (II) REVIEW AND ASSESS THE ORGANIZATION'S MAJOR FINANCIAL AND OTHER MATERIAL RISKS OR ANY SIGNIFICANT EXPOSURES, THE ORGANIZATION'S POLICIES WITH RESPECT TO RISK AND THE STEPS MANAGEMENT HAS TAKEN TO MINIMIZE SUCH EXPOSURES. |
| FORM 990, PAGE 6, PART VI, LINE 6 | THE ORGANIZATION HAS MEMBERS THAT PAY DUES. |
| FORM 990, PAGE 6, PART VI, LINE 7A | THE MEMBERS OF THE ORGANIZATION ELECT THE GOVERNING BOARD. |
| FORM 990, PAGE 6, PART VI, LINE 11B | THE 990 IS PROVIDED AND REVIEWED BY SELECT EXECUTIVE COMMITTEE MEMBERS. |
| FORM 990, PAGE 6, PART VI, LINE 12C | BOARD MEMBERS ARE PROVIDED WITH THE CONFLICT OF INTEREST POLICY AT THE ANNUAL MEETING WHICH INCLUDES DIRECTION TO REPORT CONFLICTS AND AFFILIATIONS AT THAT TIME AND ALSO REPORT CONFLICTS AND AFFILIATIONS RELEVENT TO ISSUES AS THEY ARISE THROUGHOUT THE YEAR. THIS INFORMATION IS MAINTAINED AT THE ASSOCIATION'S HEADQUARTERS. |
| FORM 990, PAGE 6, PART VI, LINE 19 | AVAILABLE UPON REQUEST. |
| FORM 990, PART VIII | TOTAL CONTRIBUTIONS AND GRANTS TO THE ORGANIZATION WERE REPORTED ON SCHEDULE B AND TOTAL 230,000. DUE TO THE MISAPPROPRIATION OF FUNDS REPORTING ON SCHEDULES L AND N, RECEIPTS OF DONATIONS INTO THE BANK ACCOUNT WERE ONLY 157,420. THE DIFFERENCE OF THE AMOUNTS ACTUALLY RECEIVED INTO THE BANK ACCOUNT AND THOSE REPORTED ON SCHEDULE B AND PART VIII ARE INCLUDED IN THE TOTAL AMOUNT OF MISAPPROPRIATED FUNDS. SEE NOTES ON SCHEDULE O, PART VI, LINES 3 AND 5 FOR ADDITIONAL INFORMATION. |
| FORM 990, PART IX, LINE 24E | THEFT OF FUNDS-SEE SCH L 0 775,228 0 |
| Software ID: | |
| Software Version: |