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Douglas M. Mancino

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Los Angeles,  CA  U.S.A.
Phone213-532-2121

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Practice Areas
  • ......................... 50%
    Health Care
  • ......................... 50%
    Federal Tax
 
University Kent State University, B.A., cum laude, 1971
 
Law SchoolOhio State University College of Law, J.D., summa cum laude, 1974
 
Admitted1974, Ohio; 1981, California; 1982, District of Columbia
 
Memberships Ohio State and American (Chair, Exempt Organizations Committee, Tax Section, 1995-1997; Council Director, 1999—2003, Vice Chair-Publications, 2010-present) Bar Assns.; State Bar of California; District of Columbia Bar; American Health Lawyers Assn. (Member, Board of Directors, 1988-1995; President, 1993-1994).
 
BornMay 8, 1949
 
Biography

Order of the Coif. Associate Editor, Ohio State Law Journal, 1973-1974. Co-Author: "Taxation of Exempt Organizations", Warren, Gorham & Lamont, 2002-2009, "Taxation of Hospitals and Health Care Organizations;" Matthew Bender, 2000. "Joint Ventures Between Hospitals and Physicians", Aspen Systems, 1987; "Navigating Your Way Through the Federal Physician Self-Referral Law;" and Atlantic Information Systems, 1998-2009. Fellow, American College of Tax Counsel and American Health Lawyers Association.

 
Reported CasesRedlands Surgical Services v. Commissioner, 113 T.C. 47 (1999), aff'd per curiam, 242 F.3d 904 (9th Cir. 2001); IHC Health Plans, Inc. v. Commissioner, 325 F.3d 1188 (10th Cir. 2003).
 
ISLN905214564
 

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Program-Related Investments and Private Foundations — New Guidance Reflects the Modern World
Ofer Lion,Douglas M. Mancino, April 27, 2012
New proposed regulations illustrate the broad range of programs and investment types that can qualify as program-related investments for private foundations. Program-related investments are excepted from the private foundation excise taxes applicable to investments that jeopardize the carrying out...

IRS Issues Interim Guidance Concerning Community Health Needs Assessment Requirements Applicable to Tax-Exempt Hospitals
J. William Gray,Douglas M. Mancino, August 12, 2011
For decades, nonprofit hospitals described in section 501(c)(3) of the Internal Revenue Code have had to satisfy one of two operational tests to obtain or maintain federal income-tax-exempt status. One is to provide free or below-cost care “to the extent of their financial ability”...


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Office Information

Douglas M. Mancino
Hunton & Williams LLP
550 South Hope Street, Suite 2000
Los Angeles, CA 90071




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