HomeMy WebLinkAbout2017INTERNAL REVENUE
P. O. BOX 2508
CINCINNATI, OH
SERVICE
45201
Date: JUL 0"'1016
SEBASTIAN RIVER ART CLUB INC
PO BOX 780534
SEBASTIAN, FL 32978-0534
Dear Applicant:
DEPARTMENT OF THE TREASURY
Employer Identification Number:
DLN:
206182000
Contact Person:
BRYAN C WOESTE IDn 31660
Contact Telephone Number:
(877) 829-5500
Accounting Period Ending:
December 31
__.Public Charity -Status:
509 (a) (2)
Form 990/990-EZ/990-N Required:
Yes
Effective Date of Exemption:
November 23, 2010
Contribution Deductibility:
Yes
Addendum Applies:
No
We're pleased to tell you we determined you're exempt from federal income tax
under Internal Revenue Code (IRC) Section 501(c)(3). Donors can deduct
contributions they make to you under IRC Section 170. You're also qualified
to receive tax deductible bequests, devises, transfers or gifts under
Section 2055, 2106, or 2522. This letter could help resolve questions on your
exempt status. Please keep it for your records.
Organizations exempt under IRC Section 501(c)(3) are further classified as
either public charities or private foundations. We determined you're a public
charity under the IRC Section listed at the top of this letter.
If we indicated at the top of this letter that you're required to file Form
990/990-EZ/990-N, our records show you're required to file an annual
information return (Form 990 or Form 990 -EZ) or electronic notice (Form 990-N,
the e-Postcaro). If you don't file a required return or notice for three
consecutive years, your exempt status will be automatically revoked.
If we indicated at the top of this letter that an addendum applies, the
enclosed addendum is an integral part of this letter.
For important information about your responsibilities as a tax-exempt
organization, go to www.irs.gov/charities. Enter 04221 -PC" in the search bar
to view Publication 4221 -PC, Compliance Guide for 501(c)(3) Public Charities,
which describes your recordkeeping, reporting, and disclosure requirements.
Letter 947
-2 -
SEBASTIAN RIVER ART CLUB INC
Sincerely,
r�
ii �0
Jeffrey I. Cooper
Director,, Exempt Organizations
Rulings and Agreements