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INTERNAL REVENUE SERVICE Department of the 'Treasury <br />District Director <br />C/o K:;Caslin Industrials Park <br />2 Cupania Circle <br />Monterey Park, CA 91754 <br />Attn:EQG-4 <br />Date: F& 2 9 ton <br />Employer Identification Number: <br />33-0562943 <br />Latino Center for Prevention and Case Number: <br />Action in Health and Welfare 953168019 <br />8161 E. Marblehead way Contact Person: <br />Anaheim, CA 92808 C. Tschopik <br />Contact Telephone Number: <br />(213) 725-7002 <br />Accounting Period Ending: <br />December 31 <br />Foundation Status Classification: <br />170(b)(1)(A)(vi) <br />Advance Ruling Begins: <br />June 10, 1993 <br />Advance Ruling Period Ends: <br />December 31, 1997 <br />Caveat Applies: <br />yes <br />Dear Applicant: <br />Eased on the information supplied, and assuming your operations <br />will be as stated in your application for recognition of exemption, <br />we have determined you are exempt from Federal income tax under <br />section 501(c)(3) of the Internal Revenue Code. <br />Because you are a newly created organization we are not now <br />making a final determination of your foundation status under section <br />509(a) of the Code. However, we have determined that you can <br />reasonably be expected to be a publicly supported organization <br />described in section 509(a)(1) and 170(b)(1)(A)(vi). <br />Accordingly, you will be treated as a publicly supported <br />organization and rot as a private foundation, during the advance <br />ruling period. This advance ruling period begins on the date of <br />Your inception and ends on the date shown above. <br />Within 90 days after the end of your advance ruling period, you <br />must submit to us additional information needed to determine whether <br />you have met the requirements of the applicable support test during <br />the advance ruling period. If you establish that you been a <br />