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IRS Denies Federal Tax Exemption Under IRC 501(c)(3)

The IRS has issued a final determination denying a federal tax exemption under IRC Section 501(c)(3) to an organization. The organization failed to protest a proposed adverse determination within the required 30 days. As a result, donors generally cannot deduct contributions to this organization.

Priority review Enforcement Taxation
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IRS Denies Tax Exemption Under IRC Section 501(c)(3)

The IRS has issued a final determination denying tax-exempt status to an organization under IRC Section 501(c)(3). This denial means donors generally cannot deduct contributions, and the organization must file federal income tax forms within 30 days.

Priority review Enforcement Taxation
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IRS Approves Tax-Exempt Status for Supporting Organization

The IRS has approved a tax-exempt status for a supporting organization under IRC Section 501(c)(3) and as a non-functionally integrated Type III supporting organization under IRC Section 509(a)(3). The approval is for a set-aside request to fund the construction of a firefighting training facility.

Routine Notice Healthcare
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IRS Ruling on Substitute Mortality Tables for Pension Plans

The IRS has granted a ruling allowing certain aggregated non-union pension plans (Group A) to use substitute mortality tables for computations under section 430 of the Internal Revenue Code. This approval is effective for up to 5 plan years beginning with the 2026 plan year.

Routine Guidance Pensions & Retirement
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IRS Grants Substitute Mortality Tables for Pension Plans

The IRS has granted a request from a taxpayer to use substitute mortality tables for pension plans (Group B) for computations under section 430 of the Internal Revenue Code. This ruling is effective for up to 5 plan years beginning with the 2026 plan year.

Routine Guidance Pensions & Retirement
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IRS Approves Scholarship Procedures Under IRC Section 4945(g)(1)

The IRS has approved the scholarship procedures of a private foundation under IRC Section 4945(g)(1). This approval ensures that grants made under these procedures will not be considered taxable expenditures for the foundation and may not be taxable to recipients if used for qualified expenses.

Routine Guidance Healthcare
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IRS Approves Educational Grant Procedures for Private Foundations

The IRS has approved the educational grant procedures for a private foundation under IRC Section 4945(g)(3). This approval ensures that grants awarded under these procedures will not be considered taxable expenditures for the foundation.

Routine Guidance Healthcare
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USDA Forest Service Notice of Intent to Award BPA Call Order

The USDA Forest Service issued an updated notice regarding a potential BPA Call Order against the Land Management Integrated Resources BPA for Historic Structure Survey Reports. This notice clarifies a previously issued link and provides information for eligible contractors.

Routine Notice Government Contracting
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EPA WERRC RFP Amendment 1

The Environmental Protection Agency (EPA) has issued Amendment 1 to the Water Emergency Response Resources Contract (WERRC) Request for Proposal (RFP). This amendment corrects the RFP title and maintains the original offer due date of April 30, 2026.

Routine Notice Environmental Protection
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Casey v. Prosperie - Louisiana Court of Appeal Opinion

The Louisiana Court of Appeal granted a writ of certiorari in Casey v. Prosperie, remanding the case to the trial court. The appellate court instructed the trial court to grant an appeal to the defendant regarding a contempt of court judgment and sanctions. This action ensures the defendant's right to appeal a prior ruling.

Routine Enforcement Judicial Administration

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