THE ORGANIZATION IS FILING THEIR INITIAL FORM 990-PF LATE. THEY RECEIVED THEIR DETERMINATION LETTER ON MAY 17, 2024 (AFTER THE INITIAL DEADLINE OF MAY 15, 2024) AND HAD NOT YET FUNDED THE FOUNDATION WITH ANY ASSETS. THEY DID NOT UNDERSTAND THAT THEY WERE STILL REQUIRED TO FILE A 990-PF WITH NO ACTIVITY REPORTED TO COMPLY WITH IRS REGULATIONS FOR THE INITIAL YEAR. UPON CONSULTATION WITH THEIR CONTRACTED CPA THEY WERE MADE AWARE OF THE FILING OBLIGATION AND EXECUTED THE FILING. THE ORGANIZATION WILL NOT HAVE ANY ISSUE WITH TIMELY FILING OR COMPLIANCE IN FUTURE YEARS DUE TO THEIR ESTABLISHED RELATIONSHIP WITH THEIR CPA AND THEIR ABILITY TO TRACK DUE DATES AND EXTENSIONS. WE RESPECTFULLY REQUEST THE IRS ABATE ANY LATE FILING INTEREST OR PENALTIES.
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