| United States. Court of Claims, Audrey Bernhardt - 1963 - 938 lapas
...exclusively. This plainly means that the presence of a single noneducational purpose, if substantial in nature, will destroy the exemption regardless of the number or importance of truly educational purposes. It thus becomes unnecessary to determine the correctness of the educational characterization... | |
| United States. Congress. House. Committee on the District of Columbia - 1965 - 1522 lapas
...purposes." "This plainly means that the presence ol a single noneducational puroose, if substantial in nature, will destroy the exemption regardless of the number or importance of truly educational purposes." Id. at 283. The proviso in section 47-1551c(h) is basically an exemption clause... | |
| United States. Congress. House. Committee on the District of Columbia - 1965 - 112 lapas
...purposes." "This plainly means that the presence of a single noneducational purpose, if substantial In nature, will destroy the exemption regardless of the number or importance of truly educational purposes." Id. at 283. The proviso in § 47-1551c (h) Is basically an exemption clause... | |
| United States. Congress. House. Committee on the District of Columbia - 1965 - 102 lapas
...purposes." "This plainly means that the presence of a single noneducational purpose, if substantial in nature, will destroy the exemption regardless of the number or importance of truly educational purposes." Id. at 283. The proviso in § 47-1551c (h) is basically an exemption clause... | |
| United States. Tax Court - 1979 - 1352 lapas
...exclusively. "This plainly means that the presence of a single [nonexempt] * * * purpose, if substantial in nature, will destroy the exemption regardless of...number or importance of truly [exempt] * * * purposes." Better Business Bureau v. United States, 326 US 283 (1945); see St. Louis Union Trust Co. v. Commissioner,... | |
| United States. Internal Revenue Service - 1972 - 624 lapas
...States said, "This plainly means that the presence of a single noneducational purpose, if substantial k educational purposes." This rationale applies equally to any category of charitable purpose under section... | |
| United States. Internal Revenue Service - 1974 - 624 lapas
...States said, "This plainly means that the presence of a single noneducational purpose, if substantial in nature, will destroy the exemption regardless of the number or importance of truly educational purposes." This rationale applies equally to any category of charitable purpose under section... | |
| United States. Internal Revenue Service - 1976 - 720 lapas
...States said, "This plainly means that the presence of a single noneducational purpose, if substantial in nature, will destroy the exemption regardless of the number or importance of truly educational purposes." While some of the association's activities are educational, and of the kind... | |
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