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“Church leaders, it never hurts to have a recent certification letter from GCFA on hand. Get yours now.  It’s easy. Many organizations want a church to provide a recent (within a year) letter proving the exemption. And you never know when you’re going to need it. So we encourage you to read the following communication from the GCFA Legal department and apply for a current group ruling letter today.” -Randy Bowman

Greetings.

The following information related to the UMC Group Ruling is being shared with you in your role in The United Methodist Church.

In May 2020, the IRS released proposed updates to the rules for group exemptions. These proposed updates would make several changes that could negatively impact our denomination’s group exemption, including:

  • A requirement that all subordinate organizations adopt a “uniform governing instrument;”
  • Specific definitions for the “general supervision” or “control” that the central organization must exercise overall subordinates; and
  • A requirement that all subordinates must fall under the same subsection of Section 509(a) of the Tax Code (this would limit the types of ministries that could be included in the group exemption).

Fortunately, most of the problematic changes would not apply to organizations already included in our group exemption. Any changes included in the final version of the rules would only impact new applicants.

It’s important to understand these are currently only proposed changes. The release of the proposed rules was followed by a public comment period, which closed on August 16. GCFA’s Legal Services Department worked in cooperation with in-house counsel at several other denominations to submit a comment letter focusing on how the proposed changes would improperly hamper religious-based group exemptions. And while it is impossible to know what modifications, if any, the IRS will make in response to the comments it receives, we are hopeful the IRS will abandon some of the proposals that would place substantial administrative burdens on central organizations and/or unreasonably limit the ability to include new subordinate organizations. Although the expectation is it will be several months until the IRS publishes the final version of the rules, we cannot say with any certainty how long it will be before the new rules become effective.

Because of these uncertainties, we strongly encourage any United Methodist organization that wants to apply for inclusion in the group exemption to do so as soon as possible. This will allow us to process the application under the current group exemption rules (which remain in effect until the IRS releases the final version of the new rules). To apply:

We will continue to monitor this issue and pass along any important developments, including the content, impact, and effective date of the final rules, once available. In the meantime, please contact us via if you have any questions.

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