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r� <br />I. No Construction of Powers as Pur uses. The powers enumerated in para- <br />graphs G and H shall not be construed as corporate purposes, but the Foundation <br />shall exercise such powers solely in furtherance of, but not in addition to, the <br />corporate purposes stated in paragraphs A through F. <br />J. S ecial Re uirements and Limitations CT on Pur ores and Powers. <br />(1) Special Requirements. The Foundation shall make during each <br />taxable year such distributions of income or other property as may be <br />required at such times and in such manner as not to subject the <br />Foundation to tax under Section 4942 of the Internal Revenue Code of <br />1954, as amended, or corresponding provisions of any subsequent <br />Federal Tax laws. <br />(2) Certain Prohibited Practices. The Foundation is prohibited <br />from engaging in any act of self -dealing as defined in Section 4941(d) <br />of the Internal Revenue Code of 1954, as amended, or corresponding <br />Provisions of any subsequent Federal Tax law, from retaining any <br />excess business holdings as defined in Section 4943(c) of the Internal <br />Revenue Code of 1954, as amended, or corresponding provisions of <br />any subsequent Federal Tax law, from making any investments in such <br />manner as to subject the Foundation to tax under Section 4944 of the <br />Internal Revenue Code of 1954, as amended, or corresponding provisions <br />of any subsequent Federal Tax law, and from making any taxable <br />expenditures as defined in Section 4945(d) of the Internal Revenue Code <br />of 1954, as amended, or corresponding provisions of any subsequent <br />Federal Tax law. <br />