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)
![]() |
(a) 2020 | (b) 2021 | (c) 2022 | (d) 2023 | (e) 2024 | (f) Total | |
|---|---|---|---|---|---|---|---|
| 1 | Gifts, grants, contributions, and membership fees received. (Do not include any "unusual grant.") .. | 2,128,018 | 3,345,850 | 2,554,058 | 4,227,221 | 4,217,436 | 16,472,583 |
| 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 | 2,128,018 | 3,345,850 | 2,554,058 | 4,227,221 | 4,217,436 | 16,472,583 |
| 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) .. | 4,733,259 | |||||
| 6 | Public support. Subtract line 5 from line 4. | 11,739,324 | |||||
Calendar year
(or fiscal year beginning in)
![]() |
(a) 2020 | (b) 2021 | (c) 2022 | (d) 2023 | (e) 2024 | (f) Total | |
|---|---|---|---|---|---|---|---|
| 7 | Amounts from line 4.. | 2,128,018 | 3,345,850 | 2,554,058 | 4,227,221 | 4,217,436 | 16,472,583 |
| 8 | Gross income from interest, dividends, payments received on securities loans, rents, royalties and income from similar sources... | 22,250 | 4,958 | 16,638 | 359,779 | 345,907 | 749,532 |
| 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.).. | 13,939 | 14,174 | 12,274 | 29,008 | 12,567 | 81,962 |
| 11 | Total support. Add lines 7 through 10 | 17,304,077 | |||||
Calendar year (or fiscal
year beginning in) ![]() |
(a) 2020 | (b) 2021 | (c) 2022 | (d) 2023 | (e) 2024 | (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.) | ||||||
Calendar year
(or fiscal year beginning in)
![]() |
(a) 2020 | (b) 2021 | (c) 2022 | (d) 2023 | (e) 2024 | (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 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.).. | ||||||
| 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 2024 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-2024 |
(iii) Distributable Amount for 2024 |
|
|---|---|---|---|---|
| 1 Distributable amount for 2024 from Section C, line 6 | ||||
|
2
Underdistributions, if any, for years prior to 2024 (reasonable cause required-- explain in Part VI).
See instructions. |
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| 3 Excess distributions carryover, if any, to 2024: | ||||
| a From 2019....... | ||||
| b From 2020....... | ||||
| c From 2021....... | ||||
| d From 2022....... | ||||
| e From 2023....... | ||||
| fTotal of lines 3a through e | ||||
| g Applied to underdistributions of prior years | ||||
| h Applied to 2024 distributable amount | ||||
|
i
Carryover from 2019 not applied (see instructions) |
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| j Remainder. Subtract lines 3g, 3h, and 3i from line 3f. | ||||
| 4Distributions for 2024 from Section D, line 7: | ||||
| $ | ||||
| a Applied to underdistributions of prior years | ||||
| b Applied to 2024 distributable amount | ||||
| c Remainder. Subtract lines 4a and 4b from line 4. | ||||
|
5
Remaining underdistributions for years prior to 2024, 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 2024. 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 2025. Add lines 3j and 4c. |
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| 8 Breakdown of line 7: | ||||
| a Excess from 2020..... | ||||
| b Excess from 2021..... | ||||
| c Excess from 2022..... | ||||
| d Excess from 2023..... | ||||
| e Excess from 2024..... | ||||
| Facts And Circumstances Test |
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| Return Reference | Explanation |
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| Schedule A, Part II, Line 10, Explanation of Other Income: | Travel Reimbursements - 2020 Amount: $ 3,621. 2021 Amount: $ 5,154. 2022 Amount: $ 6,210. 2023 Amount: $ 7,792. 2024 Amount: $ 7,772. Other Reimbursements - 2020 Amount: $ 2,266. 2021 Amount: $ 0. 2022 Amount: $ 78. 2023 Amount: $ 15,422. 2024 Amount: $ 2,963. Miscellaneous Income - 2020 Amount: $ 8,052. 2021 Amount: $ 9,020. 2022 Amount: $ 5,986. 2023 Amount: $ 5,794. 2024 Amount: $ 1,832. |
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| Return Reference | Explanation |
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| Form 990, Part III, Line 4a | The Buckeye Institute develops durable and replicable economic and legal public policy solutions to our great nation's most pressing problems. Buckeye's Economic Research Center (ERC) produces academic-quality, peer-reviewed, scholarly reports and dynamic models to assess the impact of various policy changes on state economies, businesses, and taxpayers. Buckeye's amicus brief filings and direct litigation seek to expand liberty, opportunity, and prosperity for all Americans, protect individual rights, uphold the rule of law, limit government power, defend against encroachments on freedom and intrusions into citizens' lives, families, businesses, and property, which-we hope-will sustain our precious constitutional republic for generations to come. The Buckeye Institute Case Summaries for 2024 IRS Form 990 Filing |
| Form 990, Part III, Line 4a | Buckeye v. IRS. The IRS requires 501(c)(3) organizations, including The Buckeye Institute, to disclose their "significant donors" via Form 990, Schedule B. The Buckeye Institute sued, claiming that the U.S. Constitution protects the right of private association in the First Amendment. The case is pending in the Sixth Circuit Court of Appeals. No fees have been awarded. |
| Form 990, Part III, Line 4a | Ream v. U.S. Department of Treasury. John Ream, founder and owner of Trek Brewing in Newark, Ohio, would like to distill alcohol in his own home for personal consumption, which is prohibited by federal law. Ream sued, asserting that this law is unconstitutional because the federal government does not have the authority to regulate in-home distillation for personal consumption. The case is pending in the Sixth Circuit Court of Appeals. No fees have been awarded. |
| Form 990, Part III, Line 4a | Form 990, Part III, Line 4a (continued) The Big Board v. District of Columbia Department of Health. From 2020 to 2022, the Mayor of Washington, D.C., issued a series of 90-day emergency orders requiring eating establishments to check customers' vaccine status before allowing entry and requiring diners to wear masks. These rolling orders lasted two years. The Big Board sued, arguing that D.C. law did not authorize the Mayor to issue any emergency order lasting more than 90 days, and that re-issuing the orders was illegal. The U.S. District Court dismissed the case, and the U.S. Court of Appeals for the District of Columbia affirmed that dismissal. No fees have been awarded. |
| Form 990, Part III, Line 4a | Flannery v. Eckenwiler. From 2020 to 2022, the Mayor of Washington, D.C., issued a series of 90-day emergency orders requiring eating establishments to check customers' vaccine status before allowing entry and requiring diners to wear masks. Eric Flannery, owner of The Big Board neighborhood tavern, exercised his First Amendment rights by tweeting that everyone was welcome at The Big Board. When Mr. Flannery sought to renew his liquor license in 2022, members of the local Advisory Neighborhood Commission (ANC 6C) protested, in apparent retaliation for Mr. Flannery's public comments. With The Buckeye Institute's assistance, Mr. Flannery defeated the protest. Mr. Flannery sued, and this case is on appeal in the U.S. Court of Appeals. No fees have been awarded. |
| Form 990, Part III, Line 4a | Darling v. AFSCME. Plaintiffs are public employees who were previously union members but subsequently resigned. Although their unions accepted the resignations, they continued to deduct dues from plaintiffs. Plaintiffs sued to stop the wage theft and recoup their money. Plaintiffs assert that the contract, which requires plaintiffs to continue paying dues after terminating their membership, is invalid. The Common Pleas court dismissed the case, which was affirmed on appeal. The Ohio Supreme Court declined to accept jurisdiction. No fees were awarded. |
| Form 990, Part III, Line 4a | Littlejohn v. AFSCME. In June 2022, Necole Littlejohn notified her employer and the American Federation of State, County, and Municipal Employees (AFSCME), Ohio Council 8 of the AFL-CIO that she was resigning from the government union. Although the union accepted her resignation, it continued to deduct dues and her vacation time for union activities. Littlejohn brought this case against the union to enjoin their wage theft and recoup her money. The Ohio Hamilton County Common Pleas Court dismissed the case, which is on appeal in Ohio's First District Court of Appeals. The case is pending. No fees have been awarded. |
| Form 990, Part III, Line 4a | Schaad v. Alder. During the pandemic, Josh Schaad worked from home. Ohio House Bill 197, a temporary law passed during the pandemic, allowed municipalities to tax employees based on their "principal place of work" instead of the actual place of work. Effectively, Mr. Schaad was taxed by Cincinnati while he worked from home in Blue Ash. Mr. Schaad challenged the law, but the Ohio Supreme Court upheld Ohio House Bill 197. No fees were awarded. |
| Form 990, Part III, Line 4a | Curcio v. Hufford. During the pandemic, plaintiffs worked from their homes located outside of the municipalities where they worked. Ohio House Bill 197, a temporary law passed during the pandemic, allowed municipalities to tax employees based on their "principal place of work" instead of the actual place of work. Plaintiffs challenged the constitutionality of that law. Ohio's Sixth District Court of Appeals ultimately upheld Ohio House Bill 197. No fees were awarded. |
| Form 990, Part III, Line 4a | Morsy v. Dumas/Morsy v. Gentile. During the pandemic, Dr. Manal Morsy worked from her home in Blue Bell, Pennsylvania, rather than downtown Cleveland. Ohio House Bill 197, a temporary law passed during the pandemic, allowed municipalities to tax employees based on their "principal place of work" instead of the actual place of work. Dr. Morsy sued for a refund of those taxes. After the Common Pleas court ruled in favor of Dr. Morsy, the City of Cleveland agreed to 1) fully refund the taxes that were illegally taken from Dr. Morsy, 2) pay the interest owed to her according to Cleveland City Ordinance, and 3) reimburse her court costs. No fees were awarded. |
| Form 990, Part III, Line 4a | Form 990, Part III, Line 4a (continued) Kresevic v. Chittok. Karen Kresevic worked at Akron City Hospital during the pandemic. After filing a wrongful termination claim, she and her employer reached a settlement agreement, which Akron taxed as if it were wages earned while working in Akron. In 2022, Ms. Kresevic requested a refund on the municipal taxes withheld from the settlement payment. Akron cited Ohio House Bill 197 and denied her request. Ms. Kresevic sued. Ms. Kresevic's claim is pending before the Ohio Court of Appeals. No fees have been awarded. |
| Form 990, Part III, Line 4a | Wos v. Cleveland. Ohio's General Assembly passed House Bill 110, which allowed workers to seek tax refunds for work they performed outside of a city's jurisdiction in 2021 and 2022. Cleveland refused to follow its ordinances, which require the city to pay a refund within 90 days of receiving a tax return or else it must pay interest on the amount of the refund. Cleveland refused to pay plaintiffs the required interest. The case is pending. No fees have been awarded. |
| Form 990, Part III, Line 4a | Doe v. City of Columbus. In 2022 and 2023, Columbus City Council passed an Ordinance banning the possession of gun magazines holding 30 or more rounds of ammunition. The Buckeye Institute sued on behalf of six residents challenging the ordinance because it violates Ohio's preemption law and the Ohio Constitution, Article I, Section 4. The trial court granted an injunction against the City enforcing the law. Columbus appealed. The Court of Appeals ruled that the preliminary injunction was not a final appealable order, which is the issue pending before the Ohio Supreme Court. No fees have been awarded. |
| Form 990, Part III, Line 4a | Buckeye v. Columbus City Schools Board of Education. The Buckeye Institute sued Columbus City Schools seeking public records related to union dues deductions that were improperly withheld. The case settled. No fees were awarded. |
| Form 990, Part VI, Section A, line 2 | President and CEO Robert Alt and Key Employee Rebekah Alt have a family relationship. |
| Form 990, Part VI, Section B, line 11b | Organization's Process to Review Form 990: The President sends a complete draft copy of the Form 990 to all Board members for review. Both the independent auditor and President are available during the review period to provide explanations or additional information. |
| Form 990, Part VI, Section B, line 12c | Enforcement of Conflicts Policy Board members and key employees are required to report any conflicts of interest annually. |
| Form 990, Part VI, Section B, line 15 | Compensation Process for Top Management Official A salary survey is conducted on the Institute's behalf for positions in similarly situated organizations. That salary survey is used by the Board of Trustee members to guide salary decisions for the President. Form 990, Part VI, Section B, Line 15 (continued) Compensation Process for Other Officers and Key Employees A salary survey is conducted for positions in similarly situated organizations. That salary survey is used by the President and/or the Board of Trustee members who are not recused to guide salary decisions for key employees. |
| Form 990, Part VI, Section C, line 19 | Governing Documents Disclosure Explanation All such documentation required by law to be publicly available are available to the public upon request. |
| Form 990, Part XI, line 9: | Restate 12/31/2023 Accrued Interest Receivable 47,825. |
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