Shift Burden of Proof for Foundation Managers
IRC §7454(b)
The IRS bears the burden of proof to show that a foundation manager 'knowingly' participated in self-dealing, jeopardizing investments, or taxable expenditures.
Eligibility
Applies to foundation managers, organization managers, or trustees of black lung benefit trusts facing excise taxes for 'knowing' violations.
Frequently Asked Questions
Who is eligible for the Shift Burden of Proof for Foundation Managers?
Applies to foundation managers, organization managers, or trustees of black lung benefit trusts facing excise taxes for 'knowing' violations.
How does the Shift Burden of Proof for Foundation Managers work?
The IRS bears the burden of proof to show that a foundation manager 'knowingly' participated in self-dealing, jeopardizing investments, or taxable expenditures.
What law authorizes the Shift Burden of Proof for Foundation Managers?
The Shift Burden of Proof for Foundation Managers is authorized under IRC §7454(b) of the Internal Revenue Code (Title 26, United States Code).
Statutory Text — IRC §7454
Source: Internal Revenue Code, Title 26, United States Code
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Legal Sources
US Code (Official) — 26 USC §7454 → Cornell Law Institute — 26 USC §7454 → Search IRS.gov for IRC §7454(b) → Treasury Regulations (26 CFR) →Discovered by: discovery_engine_v1
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