Comment from Nonprofit New York
Nonprofit New YorkSupportAdvocacy
Summary: The commenters, representing a coalition of nonprofit organizations and legal firms, urge the Treasury and IRS to explicitly exempt fiscal sponsorship from the definition of Donor Advised Funds (DAFs). They argue that the current proposed regulations are too broad and could inadvertently subject direct charitable programming to DAF rules, which would stifle innovation and the ability of projects to pay for goods, services, and staff.
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