The L3C Status: Groups Explore Structure That Limits Liability for Program-Related Investing

September 1, 2009, The NonProfit Times
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Marcus Owens, member of Caplin & Drysdale and former Director of the Exempt Organizations Division of the IRS, comments about L3C legislation in response to an IRS statement that "warned against jumping the LC3 bandwagon too early because of unresolved tax questions". Read >>

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