Not exact matches
-LRB-...» Green Bay Packers Inc., has been a publicly owned,
nonprofit corporation since Aug. 18, 1923, when original articles of incorporation were filed with Wisconsin's secretary of
state.
A veteran of both Texas politics and the dot - com boom, Delany has worked with scores of
nonprofits,
corporations and political campaigns in the United
States and around the globe to harness the power of online tools.
The apparent chief of staff of two
nonprofits affiliated with SUNY Polytechnic Institute — perhaps in keeping with a common, if odd, practice in
state government — appears to have been paid by the
state Dormitory Authority, a public - benefit
corporation that finances construction projects.
After considering several other sites, the Fort Schuyler Management Corp., a 501 c - 3
nonprofit corporation created by the
State University of New York Research Foundation that is charged with managing the development of Buffalo Billion facilities, settled on space atop a six - story medical building that was under construction at the edge of the city's downtown medical campus.
Another part of Cuomo's model for upstate places the power to develop projects to
nonprofit development
corporations affiliated with the
state university system.
On the administrative side, OSC has sought to require SUNY foundations, alumni associations, and auxiliary
corporations to complete vendor responsibility questionnaires, which were already required of
nonprofits and quasi-governmental organizations that receive
state grants.
If you need another reason why the
state's major economic development projects shouldn't be parsed out to various
nonprofit corporations, where they might escape scrutiny, consider the situation of two Albany - based entities being pressed to pay for the criminal defense of Alain Kaloyeros, SUNY Poly's former president and CEO.
Kevin Zammer, secretary of the Buffalo Urban Development
Corporation, the
nonprofit city entity that sold the land to the
state, said the organization had no role in changing the goals, which «would be the
state's prerogative.»
NY
State Attorney General Should Investigate Shadowy «Non-profits» Citizens Union has filed a formal complaint with New York Attorney General Eric Schneiderman, asking the office to investigate a Virginia - based 501 (c)(4) that poured money into New York
State Senate races.Article 7 - A of the Executive Law requires charities and
nonprofits that solicit contributions from residents,
corporations foundations or government agencies in New York to register with the
State Charities Bureau.
NY
State Attorney General Should Investigate Shadowy «Non-profits» Citizens Union has filed a formal complaint with New York Attorney General Eric Schneiderman, asking the office to investigate a Virginia - based 501 (c)(4) that poured money into New York
State Senate races.Article 7 - A of the Executive Law requires charities and
nonprofits that solicit contributions from residents,
corporations foundations or government agencies -LSB-...]
Instead, the task of exporting the Albany model across Upstate was entrusted to Kaloyeros and two
state - affiliated
nonprofit corporations he controlled.
They transferred ownership of Kennedy Square in 2011 to a
nonprofit corporation that was affiliated with Upstate and directed by its leaders, yet exempt from
state rules governing the disposition of public land.
The two development
corporations, citing their
nonprofit status, contended they were exempt from the
state's Open Meetings and Freedom of Information Law.
The suit, part of a continuing investigation by Mr. Cuomo into Mr. Espada's political and business activities, seeks to remove Mr. Espada as president of the
nonprofit corporation, which runs four health clinics in the Bronx that receive most of their financing from the federal and
state governments.
But the
state Division of
Corporations said it has no record of any such
nonprofit or any other entity named One Brooklyn.
Cuomo's office says Espada used some of the money the network paid his company to campaign, which would be a clear violation of
state campaign and
nonprofit corporation laws.
SUNY Poly says using the
nonprofits is «required by federal and
state rules, including IRS rules that prohibit hosting private
corporations on
state - owned lands.»
Initially, the development
corporations were created as
nonprofits to get around rules that prohibited the
state university system from leasing space to private companies.
Bob Megna, president of the Fuller Road and Fort Schuyler management
corporations, told POLITICO that the
nonprofit offshoots were doing the best they could and shouldn't be measured against promises made by former SUNY Poly president Alain Kaloyeros, who was forced from his position by
state and federal bid - rigging charges.
Many of the governor's most ambitious economic development projects in Buffalo, Syracuse and Albany were administered by two
state - affiliated
nonprofit development
corporations that initially said they were not subject to
state open meetings and freedom of information laws.
SUNY Polytechnic Institute and Fuller Road Management
Corporation, an affiliated
nonprofit that owns and manages facilities at the school's Albany campus, did not produce certain emails responsive to a subpoena from the
state attorney general's office, according to footnotes in a
UPDATE 11/17: On Nov. 16 — one day after this story first appeared online — the U.S. Attorney's office said in a court filing that it had received an email the same day from «counsel for Fuller Road Management
Corporation,» a
nonprofit affiliated with SUNY Polytechnic Institute, claiming that the May 2016 search warrant application (quoted in this story) «contains incorrect assertions regarding FRMC [document] productions to» the
state attorney general's office.
SUNY Polytechnic Institute and Fuller Road Management
Corporation, an affiliated
nonprofit that owns and manages facilities at the school's Albany campus, did not produce certain emails responsive to a subpoena from the
state attorney general's office, according to footnotes in a May 2016 search warrant application recently filed in federal court.
The development
corporations were created as
nonprofits to get around
state and federal rules SUNY Poly says prohibit the
state university system from leasing space to private companies.
The patent, «Active Air Control,» was issued to the Kansas
State University Research Foundation, a
nonprofit corporation responsible for managing technology transfer activities at the university.
U.S. Patent No. 8,791,105, «Methods for Alleviating Chronic Pain and Improving Performance of Cattle Undergoing Dehorning or Castration,» was awarded to the Kansas
State University Research Foundation, a
nonprofit corporation responsible for managing technology transfer activities at the university.
U.S. Patent No. 8,835,395, «Novel Protein Peptide Hydrogels,» was awarded to the Kansas
State University Research Foundation, a
nonprofit corporation responsible for managing technology transfer activities at the university.
This decision
stated that the First Amendment prohibited the government from restricting independent political expenditures by a
nonprofit corporation.
Rep. George Miller, D - Calif., has asked Attorney General John Ashcroft to investigate alleged fraud and other possible violations of federal law by a
nonprofit Utah
corporation that is affiliated with 11 private boarding schools for troubled youths that are located outside the United
States.
States would create «regional health - care alliances» — independent
state agencies or
nonprofit corporations whose members would include most businesses, school districts and other government agencies, the self - employed, and others.
The Granite
State's STC program grants tax credits to
corporations worth 85 percent of their contributions to
nonprofit scholarship organizations that aid low - and middle - income students attending the schools of their choice.
Nelson - Barber is the CEO of Pacific Resources for Education and Learning, an independent,
nonprofit corporation that serves the educational community in the U.S. - Affiliated Pacific Islands (USAPI), including American Samoa, the Commonwealth of the Northern Mariana Islands, the Federated
States of Micronesia (Chuuk, Kosrae, Pohnpei, and Yap), Guam, Hawaii, the Republic of the Marshall Islands, and the Republic of Palau.
The studies, the first conducted in Washington
state by researchers Dr. Dan Goldhaber and James Cowan, and the second in Kentucky and in Chicago Public Schools by the
nonprofit CNA
Corporation under the leadership of Dr. Linda Cavalluzzo, build upon more than a decade of research that...
The University Council for Educational Administration (UCEA) is a
nonprofit corporation whose members are major research universities in the United
States, Australia and Hong Kong.
In 2004, as CEO, she led the transformation of the North Central Regional Educational Laboratory to Learning Point Associates, a highly successful
nonprofit education research and consulting organization serving
states, districts, foundations,
corporations, and the federal government.
We have provided comprehensive consulting and support to
nonprofit Innovative Schools Development
Corporation to implement a program to recruit and train highly effective principals for the
state's lowest performing schools.
He specified that many different types of entities — universities,
corporations, public school districts,
nonprofits — should be able to manage these new schools,
state law permitting.
Of even greater concern, however, is that when Malloy appointed Erik Clemons to the
State Board of Education, the Governor failed to report that Erik Clemons is the president of a nonprofit corporation that is collecting in excess of $ 500,000 in state funds as a result of a lucrative no - bid contract funded through the State Department of Educa
State Board of Education, the Governor failed to report that Erik Clemons is the president of a
nonprofit corporation that is collecting in excess of $ 500,000 in
state funds as a result of a lucrative no - bid contract funded through the State Department of Educa
state funds as a result of a lucrative no - bid contract funded through the
State Department of Educa
State Department of Education.
He has touted a federal version of Florida's tax credit scholarship program, which gives
corporations and businesses a tax credit if they donate money to
state - approved
nonprofit organizations that award scholarships to low - income students to attend private and religious schools.
Seven Oaks is not alone in this regard — federal,
state and private groups struggle to keep up with demand when financing for charter schools, according to a recent report by the
nonprofit group Local Initiatives Support
Corporation.
In contrast with traditional vouchers, where the
state directly reimburses a private school for tuition costs, these «tuition tax credit» proposals — sometimes called neo-vouchers — offer tax credits to individuals and
corporations who donate to a
nonprofit «school tuition organization.»
Autumn House Press is a
nonprofit corporation registered in the
state of Pennsylvania whose mission is to publish and promote poetry and other fine literature.
(B) «Credit repair services organization» does not include: (i) Any person authorized to make loans or extensions of credit under the laws of this
state or the United
States who is subject to regulation and supervision by this
state or the United
States; (ii) Any bank or savings and loan institution whose deposits or accounts are eligible for insurance by the Federal Deposit Insurance
Corporation or the Savings Association Insurance Fund of the Federal Deposit Insurance
Corporation; (iii) Any
nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986; (iv) Any person licensed as a real estate broker by this
state if the person is acting within the course and scope of that license; (v) Any person licensed to practice law in this
state if the person renders services within the course and scope of his or her practice as an attorney; (vi) Any broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission if the broker - dealer is acting within the course and scope of those regulatory agencies; or (vii) Any consumer reporting agency as defined in the federal Fair Credit Reporting Act (15 U.S.C. 1681 - 1681t).
(1) The following shall be exempt from the Credit Services Organization Act: (a) A person authorized to make loans or extensions of credit under the laws of this
state or the United
States who is subject to regulation and supervision by this
state or the United
States or a lender approved by the United
States Secretary of Housing and Urban Development for participation in a mortgage insurance program under the National Housing Act, 12 U.S.C. 1701 et seq.; (b) A bank or savings and loan association whose deposit or accounts are eligible for insurance by the Federal Deposit Insurance
Corporation or a subsidiary of such a bank or savings and loan association; (c) A credit union doing business in this state; (d) A nonprofit organization exempt from taxation under section 501 (c)(3) of the Internal Revenue Code; (e) A person licensed as a real estate broker or salesperson under the Nebraska Real Estate License Act acting within the course and scope of that license; (f) A person licensed to practice law in this state acting within the course and scope of the person's practice as an attorney; (g) A broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (h) A consumer reporting agency; (i) A person whose primary business is making loans secured by liens on real property; (j) A person, firm, corporation, or association licensed as a collection agency in this state or a person holding a solicitor's certificate in this state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to
Corporation or a subsidiary of such a bank or savings and loan association; (c) A credit union doing business in this
state; (d) A
nonprofit organization exempt from taxation under section 501 (c)(3) of the Internal Revenue Code; (e) A person licensed as a real estate broker or salesperson under the Nebraska Real Estate License Act acting within the course and scope of that license; (f) A person licensed to practice law in this
state acting within the course and scope of the person's practice as an attorney; (g) A broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (h) A consumer reporting agency; (i) A person whose primary business is making loans secured by liens on real property; (j) A person, firm,
corporation, or association licensed as a collection agency in this state or a person holding a solicitor's certificate in this state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to
corporation, or association licensed as a collection agency in this
state or a person holding a solicitor's certificate in this
state acting within the course and scope of that license or certificate; and (k) A person licensed to engage in the business of debt management pursuant to sections 69 - 1201 to 69 - 1217.
«Credit Services Organization» does not include any of the following: (i) a person authorized to make loans or extensions of credit under the laws of this
State or the United States who is subject to regulation and supervision by this State or the United States, or a lender approved by the United States Secretary of Housing and Urban Development for participation in a mortgage insurance program under the National Housing Act (12 U.S.C. Section 1701 et seq.); (ii) a bank or savings and loan association whose deposits or accounts are eligible for insurance by the Federal Deposit Insurance Corporation or the Federal Savings and Loan Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of
State or the United
States who is subject to regulation and supervision by this
State or the United States, or a lender approved by the United States Secretary of Housing and Urban Development for participation in a mortgage insurance program under the National Housing Act (12 U.S.C. Section 1701 et seq.); (ii) a bank or savings and loan association whose deposits or accounts are eligible for insurance by the Federal Deposit Insurance Corporation or the Federal Savings and Loan Insurance Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of
State or the United
States, or a lender approved by the United
States Secretary of Housing and Urban Development for participation in a mortgage insurance program under the National Housing Act (12 U.S.C. Section 1701 et seq.); (ii) a bank or savings and loan association whose deposits or accounts are eligible for insurance by the Federal Deposit Insurance
Corporation or the Federal Savings and Loan Insurance
Corporation, or a subsidiary of such a bank or savings and loan association; (iii) a credit union doing business in this
State; (iv) a nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the nonprofit organization; (v) a person licensed as a real estate broker by this state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of
State; (iv) a
nonprofit organization exempt from taxation under Section 501 (c)(3) of the Internal Revenue Code of 1986, [FN1] provided that such organization does not charge or receive any money or other valuable consideration prior to or upon the execution of a contract or other agreement between the buyer and the
nonprofit organization; (v) a person licensed as a real estate broker by this
state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of
state if the person is acting within the course and scope of that license; (vi) a person licensed to practice law in this
State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of
State acting within the course and scope of the person's practice as an attorney; (vii) a broker - dealer registered with the Securities and Exchange Commission or the Commodity Futures Trading Commission acting within the course and scope of that regulation; (viii) a consumer reporting agency; and (ix) a residential mortgage loan broker or banker who is duly licensed under the Illinois Residential Mortgage License Act of 1987.
(Some rescues just file as a
nonprofit corporation with the
State, then call themselves a «
nonprofit» to imply they are a 501 (c)(3) while they are not.)
MidAmerica Boston Terrier Rescue Inc. (MABTR) is a 501 (c)(3)
nonprofit corporation serving the
states of Nebraska, Colorado, Iowa, Kansas, Missouri, North / South Dakota, Wyoming, Minnesota, Utah, Montana, Idaho, and Arkansas.
MidAmerica Boston Terrier Rescue Inc. (MABTR) is a 501 (c)(3)
nonprofit corporation serving the
states of Nebraska, Colorado, Iowa, Kansas, Missouri, North Dakota, South Dakota, Wyoming, and Minnesota.
Federal and
state tax authorities recognize Happy Tails as a tax - exempt, 501 (c)(3)
Nonprofit Public Benefit
Corporation.
WAIF is a 501 (c)(3)
nonprofit corporation and is a registered charity with the
state of Washington.