PLR 202628013 Foundation’s Educational Grant Procedures Approved
7/10/26 (4/15/2026)
Dear * * *:
You asked for advance approval of your scholarship procedures under Internal Revenue Code (IRC) Section 4945(g)(1). You requested approval of your scholarship program to fluid the education of certain qualifying students.
This approval is required because IRC Section 4945 provides for the imposition of taxes on each taxable expenditure of a private foundation. IRC Section 4945(d)(3) provides that the term "taxable expenditure" includes any amount paid or incurred by a private foundation as a grant to an individual for travel, study, or similar purposes by the individual, unless the grant satisfies the advance approval requirement of IRC Section 4945(g).
Our determination
We approved your procedures for awarding scholarships. Based on the information you submitted, and assuming you will conduct your program as proposed, we determined that your procedures for awarding scholarships meet the requirements of IRC Section 4945(g)(1). As a result, expenditures you make under these procedures won't be taxable.
Additionally, awards made under these procedures are scholarship or fellowship giants and are not taxable to the recipients if they use them for qualified tuition and related expenses (subject to the limitations provided in IRC Section 117(b)).
Description of your request
Your letter indicates you will operate a scholarship program for individuals of B descent that are enrolled in or plan to enroll in courses at an accredited college or university, an advanced degree program, or an accredited vocational or trade institution. The purpose of your program is to empower promising students through merit and need-based for an higher education to foster academic excellence, cultivate leadership, and strengthen cultural heritage throughout the C area for generations to come.
You anticipate awarding D scholarships per year within a range of e dollars, contingent upon available resources and qualified applicants. You will publicize the grant through your website, outreach to local organizations and schools, and direct contact with potential applicants.
To be eligible for your scholarship program, applicants must:
Recipients are selected based on:
Financial need may be demonstrated in several objective ways, including:
You will also rely upon self-reporting information available through FAFSA and through the applicants academic institution.
You will disburse funds directly to the applicable learning institution under an agreement requiring the institution to apply the funds only for enrolled students in good standing. If funds are disbursed directly to the recipient, you will require the student to submit, at least annually, a report describing the use of funds, progress made towards achieving the grant purposes, and an accounting for funds spent. Scholarships may be renewed as long as the recipient maintains good standing with their educational institution.
Your selection committee is comprised of your Board of Directors or their designees. Your committee will not be able to derive a private benefit, directly or indirectly to the applicant and not eligible for scholarship to any substantial contributor, officers, or any family members. Relatives of members of your selection committee, or of your officers, directors, or substantial contributors are not eligible for awards under this program.
You represent that you will complete the following:
You also represent that you will:
Basis for our determination
IRC Section 4945 imposes excise taxes on the taxable expenditures of private foundations. A taxable expenditure is any amount a private foundation pays as a grant to an individual for travel, study or other similar purposes. However, a grant that meets all the following requirements of IRC Section 4945(g) is not a taxable expenditure.
Other conditions that apply to this determination
Internal Revenue Service
Exempt Organizations Determinations
TE/GE Stop 31A Team 105
P.O. Box 12192
Covington, KY 41012-0192
We'll make this determination letter available for public inspection after deleting personally identifiable information, as required by IRC Section 6110. We've enclosed Letter 437, Notice of Intention to Disclose — Rulings, and a copy of the letter that shows our proposed deletions.
Please keep a copy of this letter in your records.
If you have questions, you can contact the person shown at the top of this letter.
Sincerely,
Stephen A. Martin
Director, Exempt Organizations
Rulings and Agreements
Enclosures:
Letter 437
Extension for Portability Election Granted
Sale of Company's Stock Not an Act of Self-Dealing
Foundation's Educational Grant Procedures Approved