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Determination Letter 202530020 Released July 25, 2025 Approved Transcribed from scan

Regional high school senior scholarship procedures approved

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This page covers one taxpayer's ruling from 2025, which can't be cited as precedent. Ezel answers your situation under the current Code and IRS guidance, with citations.

Not precedent. Under 26 U.S.C. § 6110(k)(3), this written determination may not be used or cited as precedent. It resolved one taxpayer's situation on its specific facts, and identifying details were redacted by the IRS before release. The official IRS release (linked on this page as a PDF) is the authoritative source.
About this page: The plain-English summary and ruling snapshot below were written by Ezel based on the official IRS release. The full text is the IRS's own document.
Transcribed from a scanned original: the IRS released this determination as an image-only PDF. The full text below is a machine transcription, proofread against the scan. Check the original PDF before quoting exact language.
View official IRS release (PDF)

Plain-English summary

A private foundation requested advance approval under IRC § 4945(g)(1) for nonrenewable scholarships serving high school seniors in specified counties of two states. Applicants must pursue an accredited two-year or four-year postsecondary program, show extracurricular and community involvement, and provide academic recommendations. The foundation will advertise broadly, and its board will use a two-round review based on academics, involvement, recommendations, financial need, motivation, character, ability, and potential. Awards will be paid directly to educational institutions, with limited time to redirect refunded funds if enrollment is deferred or withdrawn. Relatives of board members and employees are ineligible, and the foundation agreed to monitor awards, recover misused funds, and maintain records. The IRS approved the procedures effective April 17, 2024, so qualifying expenditures will not be taxable if the program operates as described.

Ruling snapshot

  • Question: Do the foundation's regional high school senior scholarship procedures satisfy IRC § 4945(g)(1)?
  • Outcome: Approved, subject to the described selection, institutional payment, monitoring, recordkeeping, and conflict restrictions
  • Key authorities: IRC §§ 117(a), 117(b), 170(b)(1)(A)(ii), 170(c)(2)(B), 4945(d)(3), 4945(g)(1)

Full text (IRS public release)

Department of the Treasury

Internal Revenue Service

Tax Exempt and Government Entities
IRS P.O. Box 2508
Cincinnati, OH 45201

Date:
05/02/2025

Taxpayer ID number:

Person to contact:
Name:
ID number:
Telephone:

Release Number: 202530020
Release Date: 7/25/2025

LEGEND

B = State
C = State

y dollars = Scholarship amount
z dollars = Scholarship amount

UIL: 4945.04-04

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 fund 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 grants 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 to fund tuition and other approved education-
related expenses. Your purpose is to aid high school seniors located within a specific geographical area by
providing grants. Your scholarships will be awarded to chosen recipients who are enrolled in high education
institutions and are graduating seniors within 18 months of receiving the award. Each scholarship recipient will
be awarded a y dollars – z dollars non-renewable scholarship to be applied at an accredited two-year or four-
year higher education program. The total amount of scholarships awarded will vary based on the availability
of funds. Relatives of your board members and employees are not eligible to receive your scholarships.

Letter 4792 (Rev. 1-2022)
Catalog Number 58263T

You provided the following eligibility criteria for potential applicants to your scholarship program:

• Applicants must be high school seniors who are located within specifically-named counties in the
states of B and C.

• Applicants must pursue a post-secondary education at an accredited two-year or four-year educational
institution.

• Applicants must demonstrate a commitment to extracurricular and community involvement.

• Applicants must provide letters of recommendation from individuals in the academic arena.

Your scholarship program will be advertised broadly through various communication channels including your
website, local college financial aid websites, social media platforms, and via targeted email campaigns.
Information regarding your scholarship program will also be distributed directly to teachers and guidance
counselors.

Applicants much submit a completed application along with required attachments including letter(s) of
reference, proof of extracurricular activities, proof of community involvement and demonstrated leadership
skills.

Your board of directors will review scholarship applications and select recipients. This process will consist of
two rounds of selections and reviews.

You will select scholarship recipients based on the following selection criteria:

• Prior academic performance

• Demonstrated commitment to extracurricular and community involvement

• Recommendations from those in the education area

• Indicators of applicant's financial need

• Conclusions which may be drawn as to the applicant's motivation, character, ability, or potential

Scholarships will be paid directly to the recipient's educational institution and will require the institution to
agree to use the funds for the recipient's expenses. If a recipient defers enrollment or withdraws from the
institution in time for the scholarship to be refunded to you, the student will have one academic year to use the
funds at the same or another eligible educational institution. If a recipient is unenrolled by the institution for
any reason, including academic performance or disciplinary reasons, or withdraws without the scholarship
being refunded to you, the scholarship will be forfeited.

If you learn that any part of a scholarship was not being used to further the purposes of your specific scholarship
program, you will immediately terminate the scholarship agreement. In such instances, you will take all
reasonable and appropriate steps to recover any scholarship funds that were expended improperly.

You represent that you will complete the following:

• Arrange to receive and review grantee reports annually and upon completion of the purpose for
which the grant was awarded,

• Investigate diversion of funds from their intended purposes,

• Take all reasonable and appropriate steps to recover the diverted funds and ensure other grant funds
held by a grantee are used for their intended purposes, and

• Withhold further payments to grantees until you obtain grantees' assurances that future diversions will
not occur and that grantees will take extraordinary precautions to prevent future diversion from
occurring.

Letter 4792 (Rev. 1-2022)
Catalog Number 58263T

You also represent that you will:

• Maintain all records relating to individual grants including information obtained to evaluate grantees,

• Identify a grantee is a disqualified person,

• Establish the amount and purpose of each grant, and

• Establish that you undertook the supervision and investigation of grants described above.

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.

• The foundation awards the grant on an objective and nondiscriminatory basis.

• The IRS approves in advance the procedure for awarding the grant.

• The grant is a scholarship or fellowship subject to the provisions of IRC Section 117(a).

• The grant is to be used for study at an educational organization described in IRC Section 170(b)(1)(A)(ii).

Other conditions that apply to this determination

• This determination only covers the grant program described above. This approval will apply to
succeeding grant programs only if their standards and procedures don't differ significantly from
those described in your original request.

• The effective date of our approval is April 17, 2024, which is the date your request was
submitted.

• This determination applies only to you. It may not be cited as a precedent.

• You cannot rely on the conclusions in this letter if the facts you provided have changed
substantially. You must report any significant changes to your program to the IRS at:

Internal Revenue Service
Exempt Organizations Determinations
TE/GE Stop 31A Team 105
P.O. Box 12192
Covington, KY 41012-0192

• You can't award grants to your creators, officers, directors, trustees, foundation
managers, or members of selection committees or their relatives.

• All funds distributed to individuals must be made on a charitable basis and further the purposes of
your organization. You cannot award grants for a purpose that is inconsistent with IRC Section
170(c)(2)(B).

• You should keep adequate records and case histories so that you can substantiate your
grant distributions with the IRS if necessary.

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.

• If you disagree with our proposed deletions, follow the instructions in the Letter 437 on how to notify us.

• If you agree with our deletions, you don't need to take any further action.

Letter 4792 (Rev. 1-2022)
Catalog Number 58263T

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

Letter 4792 (Rev. 1-2022)
Catalog Number 58263T

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