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USB Policy
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USB Policies
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Accounting
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Anti-Harassment Policy
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Bank and Investment Accounts
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Board Budgeting and Allocation
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Board Director Expense Reimbursement
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Board Records
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Chairperson's Expense Reimbursement
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Communications Standards
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Compliance Officer
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Compliance Reviews and Reporting
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Conflict of Interest
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Contract Authority
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Election of Directors, Officers and Executive Committee
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Family Member Compensation
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Fund Reserve
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Information Technology
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Insurance
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Intellectual Property Rights
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Investments
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Minutes
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Pecuniary Rewards
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Primary Contractors
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Purchase of Property/Endowments
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QSSB Reviews and Reporting
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Roles and Responsibilities
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Social Media
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Solicitation of Funds
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Sponsorship Policy
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Travel Expense Reimbursements
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Unscheduled Expenditures
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USB Credit Cards
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USB Liaison
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Vendor/Contract Management and Reimbursement Policy
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Appendix A – Delegation of Authority
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Appendix B – Records Management Policy
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Appendix C – Code of Conduct
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Appendix D – AMS Directive 2210.2
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Appendix E – Roles and Responsibilities
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Appendix F – Permanent Bylaws of the United Soybean Board
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Appendix G – Social Media Policy
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Resources
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USB Reference Guide
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Purpose
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Scope
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Terminology
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USB Communication Standards Manual
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Confidentiality Agreement
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Conflict of Interest Disclosure Statement
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Contractor Agreement Template
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Contractor Services Handbook
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Exemption from Federal Income Tax
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USDA Guidelines for AMS Oversight of Commodity Research and Promotion Programs
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Long-Range Strategic Plan
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QSSB Manual
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Purpose
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Scope
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Terminology
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Responsibility
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Election of the Board of Directors
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QSSB Annual Financial Report Content Guideline
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Purchase of Property/Endowments
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QSSB Compliance
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QSSB Compliance Requirements
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QSSB Marketing Plans/Budgets
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QSSB Policies and Procedures
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QSSB Reviews and Reporting
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QSSB Refund Request
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Organic Soybean Certification Procedures
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QSSB Standard Contract
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Appendix A – QSSB Contract Guide
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Appendix B – Nominations Agreement Form
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Appendix C – QSSB Financial Statement Audit Checklist
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Appendix D – AMS Directive 2210.2
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Appendix E – Purchase of Property/Endowments
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Appendix F – QSSB Provisions for USB Projects
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Appendix G – USB and QSSB Agreement Template
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Appendix H – First Steps for QSSB/USB Board Requirements for Compliance Collections
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Appendix I – USDA Remittance Settlement Agreement
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Appendix J – State QSSB to QSSB Funds Transmittal Form
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Appendix K – QSSB to USB Funds Transmittal Form
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Appendix L – QSSB Refund Letters
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Appendix M – Schedule of Contracts/Grants in Process Template
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Appendix N – Schedule of Activities Template
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Appendix O – Sample Code of Conduct Policy
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Appendix P – Sample Whistleblower Policy
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Appendix Q – Sample Confidentiality Agreement
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Appendix R – Sample Conflict of Interest Disclosure Statement
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April 20, 1993
Department of the Treasury
Internal Revenue Service
Washington, D.C. 20224
Mr. M. Bradley Flynn
Office of the General Counsel
United States Department of Agriculture
Room 2014-South Building
Washington, D.C. 20250-1400
Dear Mr. Flynn:
This is in reply to your letter dated March 11, 1993, requesting a ruling that the United Soybean Board (Board) is exempt from federal income taxation.
The board is established pursuant to specific statutory authorization vested in the Secretary of Agriculture. Soybean producers nominate members to the Board. The Secretary may reject any nomination submitted and require the submission of new nominations. The Board’s budget must be approved by the Secretary and the Board must maintain records for the Secretary’s inspection. No funds of the Board may be invested without the approval of the Secretary. The Secretary has the discretion to terminate the orders establishing the Board.
Revenue Ruling 87-2, 1987-1 Cumulative Bulletin 18, holds that a trust fund created by a state supreme court to hold amounts advanced to lawyers in the state by their clients is an integral part of the state and not subject to income tax. In arriving at this holding, the ruling reasons that the state court’s creation of the fund and its ability to select and remove the funds governing body, to control the fund’s investments and expenditures, to monitor the fund’s daily operation, and to abolish the fund indicate that the fund is not an independent entity, but rather is an integral part of the state.
The Board is similar to the trust fund in Rev. Rule. 87-2 and therefore is an integral part of the Department of Agriculture. Accordingly, the Board is not subject to federal income taxation.
If you require further information or have any questions concerning this matter, please call Ms. Carol Schultze at (202) 622-3960.
Sincerely yours,
Assistant Chief Counsel
(Financial Institutions & products)
By: William E. Blanchard
Senior Technician Reviewer, Branch 3