Treasury Regulations (26 C.F.R.)
26 CFR § 1.509(c)-1
Status of organization after termination of private foundation status.
# (a) In general.
For purposes of part II of subchapter F of this chapter, an organization whose status as a private foundation is terminated under section 507 shall be treated as an organization created on the day after the date of such termination. An organization whose private foundation status has been terminated under the provisions of section 507(a) will, if it continues to operate, be treated as a new organization and must, if it desires to be classified under section 501(c)(3), give notification that it is applying for recognition of section 501(c)(3) status pursuant to the provisions of section 508(a).
# (b) Effect upon section 507(d)(1).
If the private foundation status of an organization has been terminated under section 507(b)(1)(B) and the regulations thereunder, and:
(1) Such organization does not continue at all times thereafter to meet the requirements of section 509(a) (1), (2), or (3) (and is therefore no longer excluded from the definition of a private foundation); and
(2) The status of such organization as a private foundation is thereafter terminated under section 507(a)
then the tax imposed under section 507(c)(1) upon the aggregate tax benefit (described in section 507(d)(1)) resulting from section 501(c)(3) status shall be computed only upon the aggregate tax benefit resulting after the date on which the organization again becomes a private foundation under subparagraph (1) of this paragraph.
[T.D. 7212, 37 FR 21924, Oct. 17, 1972]
Source: view the official text
In this part (40 sections)
- 1.507-2 · Special rules; transfer to, or operation as, public charity.
- 1.507-3 · Special rules; transferee foundations.
- 1.507-4 · Imposition of tax.
- 1.507-5 · Aggregate tax benefit; in general.
- 1.507-6 · Substantial contributor defined.
- 1.507-7 · Value of assets.
- 1.507-8 · Liability in case of transfers.
- 1.507-9 · Abatement of taxes.
- 1.508-1 · Notices.
- 1.508-2 · Disallowance of certain charitable, etc., deductions.
- 1.508-3 · Governing instruments.
- 1.508-4 · Effective date.
- 1.509(a)-1 · Definition of private foundation.
- 1.509(a)-2 · Exclusion for certain organizations described in section…
- 1.509(a)-3 · Broadly, publicly supported organizations.
- 1.509(a)-4 · Supporting organizations.
- 1.509(a)-5 · Special rules of attribution.
- 1.509(a)-6 · Classification under section 509(a).
- 1.509(a)-7 · Reliance by grantors and contributors to section 509(a)…
- 1.509(b)-1 · Continuation of private foundation status.
- 1.509(c)-1 · Status of organization after termination of private…
- 1.509(d)-1 · Definition of support.
- 1.509(e)-1 · Definition of gross investment income.
- 1.511-1 · Imposition and rates of tax.
- 1.511-2 · Organizations subject to tax.
- 1.511-3 · Provisions generally applicable to the tax on unrelated…
- 1.511-4 · Minimum tax for tax preferences.
- 1.512(a)-1 · Definition.
- 1.512(a)-2 · Definition applicable to taxable years beginning before…
- 1.512(a)-3 · [Reserved]
- 1.512(a)-4 · Special rules applicable to war veterans organizations.
- 1.512(a)-5 · Questions and answers relating to the unrelated business…
- 1.512(a)-6 · Special rule for organizations with more than one…
- 1.512(b)-1 · Modifications.
- 1.512(c)-1 · Special rules applicable to partnerships; in general.
- 1.513-1 · Definition of unrelated trade or business.
- 1.513-2 · Definition of unrelated trade or business applicable to…
- 1.513-3 · Qualified convention and trade show activity.
- 1.513-4 · Certain sponsorship not unrelated trade or business.
- 1.513-5 · Certain bingo games not unrelated trade or business.