disqualified supporting organization
Defined in 1 place of the United States Code.
The term “disqualified supporting organization” means, with respect to any distribution—
(i) any type III supporting organization (as defined in section 4943(f)(5)(A)) which is not a functionally integrated type III supporting organization (as defined in section 4943(f)(5)(B)), and
(ii) any organization which is described in subparagraph (B) or (C) if—
(I) the donor or any person designated by the donor for the purpose of advising with respect to distributions from a donor advised fund (and any related parties) directly or indirectly controls a supported organization (as defined in section 509(f)(3)) of such organization, or
(II) the Secretary determines by regulations that a distribution to such organization otherwise is inappropriate.
Source
- 2006–present26 U.S.C. § 4966Internal Revenue Code · Taxes on taxable distributions · for purposes of this subchapter