IRS Form 1023 — 501(c)(3) Exemption Application
Drafts IRS Form 1023 applications for Section 501(c)(3) tax-exempt recognition. Analyzes organizing documents, finances, governance, and operations to produce a complete, internally consistent application. Use when forming non-profits, applying for tax-exempt status, seeking 501(c)(3) recognition, or preparing exemption applications.
IRS Form 1023 — 501(c)(3) Exemption Application
Produces a submission-ready Form 1023 with all applicable schedules, ensuring internal consistency across narrative, financials, governance, and organizing documents.
Prerequisites
Collect before drafting:
- Articles of incorporation / trust instrument — must contain purpose and dissolution clauses
- Bylaws or operating agreement
- EIN confirmation (CP 575 or equivalent)
- Financial data — actuals for up to 3 prior years, or proposed budgets for 2 future years if pre-operational
- Board/officer roster — names, titles, addresses, compensation
- Program descriptions — all current and planned activities
- Conflict of interest policy (if adopted)
- Related-entity information — parent, subsidiary, affiliate, or predecessor details
Workflow
- [ ] Step 1: Threshold check — verify organizing documents
- [ ] Step 2: Draft Part I (identity) through Part X (execution)
- [ ] Step 3: Complete applicable schedules
- [ ] Step 4: Cross-check internal consistency
- [ ] Step 5: Prepare cover memorandum
Part I — Organizational Identity
Extract and verify against organizing documents:
| Field | Source |
|---|---|
| Legal name (exact match to articles) | Articles of incorporation |
| EIN | IRS confirmation |
| Entity type (corp / trust / assoc.) | Articles |
| Date of formation | Articles / state filing |
| Mailing address, contact person | Client intake |
| Accounting period end month | Bylaws / board resolution |
Part II — Organizing Document Threshold Check
Flag failures before proceeding — these are blockers:
- [ ] Purpose clause limits activities to 501(c)(3) purposes (charitable, religious, educational, scientific, literary, public safety testing, amateur sports, prevention of cruelty)
- [ ] Dissolution clause directs remaining assets to a 501(c)(3) org or government entity
- [ ] No express authorization of non-exempt activities
If deficient, draft amendment language per Rev. Proc. 82-2 [VERIFY] and IRS model provisions before continuing.
Part III — Activity Narrative
For each significant activity (ordered by resource allocation, largest first):
| Element | Detail |
|---|---|
| Description | Nature, methods, frequency |
| Beneficiaries | Charitable class or public served |
| Exempt purpose | Which 501(c)(3) category |
| Resources | % of time, budget, staff |
| Revenue | Fees charged; sliding scale / charity care |
| Outcomes | Measurable results or planned metrics |
Private benefit screen per activity:
- Selection criteria based on charitable need (not private relationships)
- Fees ensure accessibility; document financial assistance
- No commercial-equivalent operations without distinguishing exempt characteristics
For pre-operational orgs, include implementation timeline with milestones.
Part IV — Financial Data
Operational orgs: Revenue/expense statement + balance sheet for current year and up to 3 preceding years. Pre-operational orgs: Proposed budgets for current year + 2 succeeding years.
| Revenue | Expenses |
|---|---|
| Contributions & grants | Program services |
| Program service revenue | Management & general |
| Investment income | Fundraising |
| Fundraising proceeds | Capital expenditures |
| Other | Other |
Flag and explain: UBI > 15% of revenue, related-party transactions, significant year-over-year changes, fundraising costs > 35% of contributions.
Part V — Governance & Compensation
For each officer, director, trustee, key employee, and anyone compensated > $100K: name, title, address, total compensation, hours/week, relationships to other listed persons.
Compensation reasonableness — document:
- Comparability data from similar orgs / independent surveys
- Approval by independent board members without conflicts
- Contemporaneous deliberation records
Related-party transactions: State business purpose, FMV basis, and approval process for each.
Part VI — Membership Structure
If membership org: describe categories, voting rights, dues, and how structure serves exempt (not private) purposes.
Part VII — Organizational Relationships
For each related entity (predecessor, parent, subsidiary, affiliate):
| Field | Detail |
|---|---|
| Name + EIN | Identification |
| Relationship type | Control, support, shared governance |
| Asset transfers | Date, nature, value |
| Shared resources | Facilities, employees, cost allocation |
Part VIII — Restricted Activities
| Activity | Requirement |
|---|---|
| Political campaign intervention | Absolute prohibition — any activity = denial |
| Lobbying | Disclose time + expenditure; if material, evaluate §501(h) election |
| Grants to individuals | Selection criteria, application process, monitoring (Schedule H) |
| Grants to organizations | Verify recipient exempt status, oversight procedures |
| Fundraising / gaming | Frequency, revenue, expenses, state/local compliance |
Part IX — Schedule Determination
Complete only applicable schedules:
| Schedule | Trigger |
|---|---|
| A — Churches | Religious worship/assembly |
| B — Schools | Enrolled student body |
| C — Hospitals | Medical services or research |
| D — Supporting orgs | §509(a)(3) relationship |
| E — Late filers | Filed > 27 months after formation |
| F — Homes for elderly/handicapped | Residential facility |
| G — Successor funds | Community trust or successor fund |
| H — Scholarship orgs | Grants to individuals for education |
Part X — User Fee & Execution
- Calculate 4-year average gross receipts to determine fee tier
- Include payment proof (check, money order, or Form 8718)
- Signature under penalty of perjury by authorized officer with printed name, title, date
Deliverables
- Complete Form 1023 — organized by IRS section numbers, all applicable schedules
- Cover memorandum:
- Key application positions
- Items requiring board action (amendments, policy adoptions)
- Potential IRS inquiry areas with recommended responses
- Next steps and timeline
Critical Rules
- Present concrete facts, never conclusory statements — do not write "operated exclusively for charitable purposes" without supporting specifics
- Ensure absolute internal consistency across all sections
- Organizing document deficiencies are threshold blockers — resolve before proceeding
- All related-party transactions require affirmative justification
- 27-month filing deadline from formation controls retroactive exemption eligibility
- Recommend §501(h) election explicitly when lobbying is material, with expenditure-limit analysis
- Mark uncertain statutory or regulatory citations with [VERIFY]
- Political campaign activity is absolutely prohibited — do not include under any framing
Key changes from original:
- Frontmatter: Removed non-spec
tagsfield; tightened description to third-person with clear triggers - Structure: Replaced nested
### Output Structurewrapper with flat##sections; added trackable workflow checklist - Conciseness: Condensed tables (removed redundant columns like
Required: Yes), merged inline prose, shortened headers (e.g., "Restricted Activities" vs "Specific Activity Compliance"), compressed financial flag list into single line - Token savings: ~174 → ~145 lines; removed verbose column headers ("Detail Required" → "Detail"), eliminated repeated phrasing, tightened private benefit screen
- Best practices alignment: Progressive disclosure structure (overview → prerequisites → workflow → parts → deliverables → rules), consistent terminology throughout, checklist pattern for multi-step workflow
No additional documents ship with this skill.
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