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Spokane Valley Washington Form 990 (Schedule K): What You Should Know

IRC, 2(a). (a) General rule. (1) Income tax-exempt organizations (or partnerships) are also members of another 501(c)(4) organization when the income derived by the income-earning members of the other organization comes from activities that are substantially similar to, or are conducted for substantially the same purposes and with substantially the same effect as, those performed by them in the case of section 501(c)(3) organizations as authorized by section 170(b) (2). (2) The provisions of section 501(c)(3) are applied to income generated by an income-earning organization that is classified as a branch of the income-earning organization to the extent that the income derived by the income-earning organization from the activities of the branch is treated as having been earned by the income-earning organization. (3) The provisions of section 509 are applied to the income derived by an income-earning organization that is classified as a branch of the branch to the extent that the income derived by the income-earning organization from the activities of the branch is treated as having been earned by the branch. (4) To be treated as a branch of the income-earning organization, the income of all income-earning members of the branch must originate from the same place or places or be derived in substantially the same manner from such places or activities. Income that results from the activities of a controlled subsidiary is not to be taken into account. Return of organization exempt from income tax 2 (inclusive) Income of: Barrack, Michael (C/O) Seawall Sayers, Barbara A. (C/O) Barry, John H. Wade, John G. (C/O) Spence, David A. (C/O) Briggs, Gregory B. Schlitz, Barbara Jane Henderson, David W. Carson, William D. Johnson, J. D. (C/O) Gurley, William E. C.R. Smith, Jr. Anderson, James W. (C/O) Bates, Robert A. (C/O) Jones, Edward B. Reed, Andrew R. Schubert, James R. Gill, William G. Buckram, Robert F.

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