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09/14/1996 02,:54 219-2718372 MILTON GROUP INC PAGE 07 <br />.� 1023 (Rey. 7-931 <br />Cage 6 <br />Technical Requirements (Continued) <br />3 Is the organization a private foundation? <br />❑ Yes (Answer question or. line 9.) <br />© No (Answer question on line 10 and proceed as instructed.) <br />9 It you answer "Yes" to the question an line 8. does the organization claim to be a private operating foundation? <br />❑ Yes (Complete Scnedule E) <br />❑ No <br />After answering the question cn this line, go to Part N. <br />o If you answer "No" to the question on line 8, indicate the public charity classification the organization is requesting by <br />checking the box below that most appropriately applies: <br />THE OR3ANI2ATIOW IS NOT A PRIVATE FOUNDATION BECAUSE IT GUALIFIES. <br />a <br />As a church or a convention or association of churches <br />Sections 509(a)(1) <br />and 170(b)(1)(A)() <br />(CI-IURCHE9i, [.JUST COMPLETE SCHEDULE A.) <br />-- <br />Sections 509(a)(1) <br />b ❑ <br />As a school (MUST COMFLET-E SCHEDULE B.) <br />and 170(b)(1)(A)(4) <br />c ❑ <br />As a nospital or a cooperative hospital service organization, or a <br />Sections 509(a)(1) <br />medical research organization operated In conjunction with a <br />and 170(b)(1)(A)(iii) <br />hospital (MUST COMPLETE SCHEDULE C.) <br />- <br />-- <br />Sections 509(2)(1) <br />d Lj <br />As a goverr-iiental unit described In section 170(c)(1). <br />and 170(b)(1)(A)(v) - <br />e ❑ <br />As being operated solely for the benefit of, or In connection wltn, <br />one or morn )f the organizations described in a through d, 8, In, or I <br />Section 509(a)(3) <br />(MUST CMi*LETE SCHEDULE 01 <br />--- <br />f ❑ <br />As being ora,inized and operated exclusively for testing for public <br />Section 509(a)(4) <br />g ❑ <br />safety. <br />As being OW rated for the benefit of a coliege Or unlvsma that is <br />Sections 51))(a)(1) <br />and 170(b)(1)(A)(iv) <br />owned or ol,=rated by a governmental unit <br />h <br />As receiving ti substantial part of its support In the Corm of <br />contributlons from publicly supported organizatlons, from a <br />Sections 509(a)(1) <br />governmen'tti unit, or from the general public. <br />and 170(b)(1XA)(vi) <br />- <br />I ® <br />As normally aceiving not more than one-third of its support from <br />gross investment income and more than one-third of Its mJpport from <br />contribution:, membership fees, and gross receipts from uctivltles <br />to its exempt functions (subieet to certain exceptions). <br />Section 509(a)(2) _ <br />related <br />- <br />Sections S09(a)(1) <br />The organis:atlon is a publicly supported organization but is not sure <br />and 170(b)(1xA)(vl) <br />whether it r uists the public support test of block h or block L The <br />vvould like the IRS to decide the proper cias.,l cation_ <br />or <br />Section 509(a)(2) _ <br />organization <br />fl you checked one of the boxes a through I in question 10, go to question <br />15. If you checked box 9 In question 10, go to questions 12 and 13. <br />If you checked box h, I, or J, go to question 11. <br />