Title: Minimizing Church Risk
1Minimizing Church Risk
- Presented by
- Peggy Z. Miller
- 713-521-9383
- pzmiller_at_methodists.net
2Introduction
- Minimizing church risk is much more than just
having insurance. A church should have several
policies/procedures in place to try to minimize
risks. - The Objective is to remind you of your fiscal
responsibility to your church and employees - Presentation will allow you to look at how you
can continue to practice good stewardship and
accountability. - Remember You are demonstrating by word and
action that someone is in control, that there is
a plan, and that faithful stewards are managing
the congregations finances.
3 Financial Outline
- Lesson 1 What your church needs to have in place
to minimize risk - Lesson 2 Insurance
- Lesson 3 Latest Tax Law Changes
- Maintaining your Tax-exempt status, Tax changes
that affect your church Gifts, Mileage, Church
School - Lesson 4 Audit Guidelines
- Internal and external audits internal controls
4Lesson 1 Minimizing Risk
- When a church first opens its doors, a church has
to have policies and procedures in place. In
order to conduct business a church will need to
receive an EIN (Employer Identification Number).
A church will need to open a bank account. A
church will need to hire employees to handle
finances and administration. - It is Important to identify risks that attach to
all elements of church activity property,
liability, people (e.g. staff, members,
volunteers, visitors and program participants),
fleet, etc. - Managing risk includes creating administrative
policies and procedures, eliminating hazards in
the facility and programs, and buying insurance. - Insurance is NOT a substitute for good internal
control. - Understand that the risks, and attendant costs,
that are not managed through an insurance
program, are retained by the church.
5Church Staff
- In January, update all W-4 Forms. The W-4 is
used by employees to report withholding
allowances. - Issue Form W-2. The form must be completed and
issued to each employee by January 31, By
February 28 (March 31 if you file electronically)
you must submit Copy A of each W-2 form to the
Social Security Administration along with a W-3
transmittal form. - New Hires Keep a file with Form I-9, with for
example a copy of Social Security Card and
Drivers License or a copy of a passport. Other
documents are accepted and are shown in the
instructions for Form I-9. The instructions on
the Form I-9 mentions the need to be aware of The
Anti-discrimination Act and The Immigration
Reform and Control Act of 1986.
6Complying with Laws
- The information that follows is a basic
explanation of some key laws that may impact your
organization. There may be a financial risk if
they are ignored. - To minimize risk in your church, you need to be
aware of these laws. - Some of these laws are not mandatory to a
religious organization but following the laws may
be of tremendous benefit.
7Age Discrimination American with Disabilities
Act
- Age DiscriminationThe Age discrimination in
Employment Act of 1967 (ADEA) applies to
employers in any industry affecting commerce with
20 or more employees. Churches may be exempt
from the ADEA because of a lack of involvement in
commercial activities. - ADEA prohibits employment discrimination on the
basis of age against applicants for employment
and employees who are age 40 and older. The top
age limit for mandatory retirement has generally
been eliminated. Compulsory retirement is still
permissible for certain executives or tenured
college faculty members who have reached age 65.
Ministers are subject to compulsory retirement.
The age for retirement in the Methodist Church is
70. - Americans with Disabilities Act
- Covers employers with 15 or more workers in 20 or
more weeks a year. - Employment hiring must be without regard to
disabilities and also make reasonable
accommodations for disabled individuals. - There are limited exceptions to the employment
provisions of the ADA for churches and religious
employers. Preferential treatment may be given
in hiring individuals of a particular religion.
Additionally churches and religious organizations
may require employees to conform to their
religious tenets. - Public accommodations. Facilities open to the
public must be accessible to the disabled. The
primary focus is on facilities like restaurants,
museums, hotels, retail stores, and banks.
Religious organizations or entities controlled by
religious organizations (including places of
worship) are exempt from the public accommodation
requirements of the ADA. Caution although a
church is exempt under the public accommodations
provision, it may still be covered under similar
provisions of local building codes.
8Charitable Solicitation, COBRA, and The Equal Pay
Act
- Charitable Solicitation
- Federal, state, and local governments have
enacted laws regulating the solicitation of
contributions by nonprofit organizations. These
laws are known as charitable solicitation acts. - COBRA
- The Consolidated Omnibus Budget Reconciliation
Act of 1985 requires covered employers to offer
18 months of group health coverage beyond the
time the coverage would have ended because of
certain qualifying events. - Equal Pay Act
- Equal Pay Act prohibits employers from paying
employees of one sex at a lower rate than
employees of the opposite sex for equal work for
positions that require the same skill, effort,
and responsibility and that are performed under
similar working conditions.
9Fair Labor Standards Act, Family and Medical
Leave Act, The Immigration Control
- Fair Labor Standards Act
- Fair Labor Act sets basic minimum wage and
overtime pay standards and regulates the
employment of minors. - Family and Medical Leave Act
- Provide up to 12 weeks of unpaid leave to
eligible employees. It does not override more
generous state entitlements. - Law applies only to organizations with 50 or
more employees - No exemption for religious organizations
- Immigration Control
- The immigration reform and control act (IRCA)
prohibits all employers from hiring unauthorized
aliens, imposes documentation verification
requirements on all employers, and provides an
amnesty program for certain illegal aliens. Law
also prohibits employers with 3 or more employees
from discriminating because of national origin. - An I-9 form must be completed and retained on
file by all employers fro each employee. The
form must be available for inspection at any
time.
10National Child Care Act, Occupational Safety and
Health Act, Pregnancy Discrimination Act and
Racial Discrimination
- National Child Care Act
- States may designate organizations that will be
permitted to obtain a nationwide criminal record
check on child care workers. If your state
designates churches, this will enable you to
quickly check on prospective child care workers
by asking a state agency to conduct a criminal
record check. - If not, you must rely on other methods of
screening child care workers in your church. - Occupational Safety and Health Act
- Occupational Safety and Health Act to protect
workers from unsafe conditions in the workplace. - Churches and other nonprofits are not
specifically exempt from OSHA. A church must
employ at least one person in secular
activities to be covered. - Pregnancy Discrimination Act
- Under this act, women affected by pregnancy,
childbirth or related medical conditions must be
treated the same for all employment-related
purposes as other workers who have a similar
ability or inability to work. - Racial Discrimination
- Racial Discrimination Form 5578 Annual
Certification of Racial Nondiscrimination for a
Private School Exempt from Federal Tax must be
filed by church that operate, supervise, or
control a private school. For organizations that
must file Form 990 there is no requirement as the
information is included in part V of Schedule A.
11Title VII of the Civil Rights Act of 1964
Religious Discrimination and Sexual Harassment
- Religious Discrimination
- Title VII of the Civil Rights Act of 1964
prohibits discrimination in employment with
respect to compensation, terms, conditions, or
privileges of employment because of an
individuals race, color, religion, sex, or
national origin. The law applies to
organizations with 15 or more employees. Title
VII does permit religious organizations to
discriminate on the basis of religion for all
positions. However, religious employers may not
discriminate on the basis of race, sex, or
national origin. - Sexual Harassment
- Under Title VII of the Civil Rights Act of 1964
two types of conduct that can constitute unlawful
sexual harassment are harassment in which
concrete employment benefits are conditioned upon
acquiescence to sexual advances and harassment
that does not affect economic benefits but
creates a hostile working environment. - Precautionary Steps - While standards are not
clear, certain basic precautionary steps still
serve to reduce the potential for employer
liability - Establish a comprehensive policy against sexual
harassment - Conduct supervisory training on a regular basis
- Implement a meaningful complaint procedure taking
into account both the perspective of the
aggrieved employee and the rights of the alleged
harasser - Investigate complaints promptly, thoroughly, and
tactfully, and document the investigation - Take appropriate remedial action in cases of
proven harassment.
12Tax Exempt Status
- Churches and religious organizations like many
other charitable organizations, qualify for
exemption from federal income tax under IRC
section 501(c)(3) and are generally eligible to
receive tax deductible contributions. To qualify
for tax-exempt status, such an organization must
meet the following requirements - the organization must be organized and operated
exclusively for religious, educational,
scientific, or other charitable purposes, - their net earnings may not inure to any private
shareholder or individual - they must not provide a substantial benefit to
private interests - they must not devote a substantial part of their
activities to attempting to influence legislation - they must not participate in, or intervene in,
any political campaign on behalf of (or in
opposition to) any candidate for public office,
and - the organizations purposes and activities may
not be illegal or violate fundamental public
policy.
13Jeopardizing Tax Exempt Status
- To avoid violating the political campaign
provisions of the law - Do not use a rating program to evaluate
candidates. - Do not endorse a candidate, or a slate of
candidates, directly or indirectly through a
sermon, speech, newsletter, or sample ballot. - Do not publish or distribute
- a candidates statement, printed or oral
statements about the candidates, names of
candidates who agree to adhere to certain
practices, candidates responses to a
questionnaire that is biased to certain issues
or unbiased with regard to narrow range of
issues. - Do not raise funds for a candidate or provide
support to a political party. - Do not pay campaign expenses for a candidate.
- Do not provide volunteers, mailing lists,
publicity or free use of facilities unless all
parties and candidates in the community receive
the same services. - Do not display campaign literature on the
organizations premises.
14Tax Exemption
- Tax exemption is a privilege that is not to be
taken lightly - Churches are generally exempt from federal income
taxes without applying for this status - Most non-church organizations must apply for
federal tax-exempt status - Churches and other non-profits may be subject to
the unrelated business income tax - Tax-exempt funds must not be diverted for
personal use. This is called private inurement
or benefit. - Exemption from federal tax does not automatically
provide exemption from state taxes such as
property, sales, and use tax.
15Lesson 2 Insurance
- Property Insurance
- Crime Insurance Employee dishonesty coverage
usually relates to employees but may be extended
to volunteers such as a church treasurer or
volunteers who handle the donations. - Director and Officers Liability Insurance
- Disability insurance
- General Liability Insuranceumbrella liability
policy may require general liability limit be 1M - Liability Insurance for special events such as
camps, sports, etc. should be provided with a
specific endorsement under a general liability
policy. - Health Insurance
- Professional Liability Insurance-pastoral
counseling covers both pastor and church - Automobile Insurance
- Sexual act liability
- Travel and accident insurance
- Umbrella Liability Insurance
- Workers Compensation-not mandatory in Texas
- Insuring for risks
16Handling Your Insurance
- Engage the services of competent commercial
insurance agents to help with risk and insurance
management. - Obtain two or three quotes for insurance coverage
from different agents. Advantages include - independent evaluation of total risk management,
and - securing the lowest cost for insurance.
- Review risk and insurance programs at least
annually. If there is any significant change in
the churchs building, staffing or program,
increase the frequency of review.
17Property Insurance
- Property Considerations
- Are property appraisals and related insurance
coverage limits up to date? - Are policies and procedures for facilities
supervision and use up to date? - Is handicap access and safety given special
consideration? - Is program use of the facility monitored by
responsible members? - Are entrances not needed for outside access
locked? - Are all exits void of obstruction and capable of
use? - Are fire warning and sprinkler systems in place
and operative? - Are mechanical systems regularly serviced and
given restricted access? - Are entrances monitored by video and authorized
access security systems? - Are criminal record checks done on church staff
and volunteers before hiring?
18People and Programs
- People and Program Considerations
- Are policies and procedures for program
supervision up to date? - Are policies and procedure actually implemented
and used for staff and volunteers? - Are criminal record checks done on church staff
and volunteers before hiring? - Are staff and volunteers adequately trained, or
have the necessary experience, for the services
that they are providing? - Do the parents of minor aged church program
participants sign acknowledgement and release
forms when their children travel to off-premises
activities? - Are more than one adult present with children at
all times? - Is workers compensation insurance in force?
- Is liability insurance in force with adequate
limits?
19Fleet/Vehicle Considerations
- Fleet Considerations
- Are policies and procedures for fleet maintenance
and use up to date? - Are policies and procedure actually implemented
and used for staff and volunteers? - Are motor vehicle record checks done on church
staff and volunteers before hiring? - Do staff and volunteers have a chauffeur's
license? - Do the parents of minor aged church program
participants sign acknowledgement and release
forms when their children travel to off-premises
activities? - Are more than one adult present with children at
all times? - Is appropriate liability and collision insurance
in force?
20Emergencies
- Emergency Considerations
- Are policies and procedures up to date
- Extreme weather conditions?
- Medical emergencies?
- Accidents?
- Communication protocols?
- Are policies and procedure actually implemented
and used for staff and volunteers? - Is appropriate liability, property, workers
compensation and medical insurance in force? - REMEMBER Insurance is NOT a substitute for good
internal control.
21Latest Tax Law Changes Lesson 3
- Rules the IRS has set in place with regards to
gifts of vehicles - Mileage Rates for 2007
- Latest change with regard to Form 990
22Contribution of Motor Vehicles, Boats, Planes
- The deduction for motor vehicles, boats, and
airplanes contributed to charity for which the
claimed value exceeds 500 will depend on how the
donated asset is used by the charity. If the
charity sells the asset without any significant
use or improvement to it, the taxpayer's
deduction is limited to the gross sales price
obtained by the charity. - The FMV of the asset based on comparable sales or
appraisal does not apply.
23Key Note provide acknowledgement within 30
days of the sale of the asset
- If the charitable organization makes significant
intervening use of or materially improves the
asset, or if the organization sells the asset at
a low price to a needy individual, the taxpayer
generally may deduct the FMV of the asset. - Additionally, a timely acknowledgement is now
required. If the claimed value of the asset is
more than 500, the taxpayer must have a written
acknowledgement of the donation from the
organization and must attach the acknowledgement
to the tax return. - The charitable organization should provide both
the taxpayer and the IRS with the acknowledgement
information. - In announcement 2005-66, the IRS announced the
availability of new Form 1098-C, Contributions of
Motor Vehicles, Boats, and Airplanes, for use by
donee organizations to report the contribution of
qualified vehicles under the new provisions.
Instructions for the new form are also available.
Form 8283, Non-cash Charitable Contributions,
and its instructions have also been updated. - In IR-2005-149, the IRS reminded taxpayers about
the requirement for a written acknowledgement of
their vehicle donations. This news release also
clarified that a charity need not sell the
vehicle in 2005 in order for the donor who
donated the vehicle in 2005 to receive a
deduction for 2005.
24Mileage Rates
- Beginning Jan. 1, 2007, the standard mileage
rates for the use of a car (including vans,
pickups or panel trucks) will be - 48.5 cents per mile for business miles driven
- 20 cents per mile driven for medical or moving
purposes and - 14 cents per mile driven in service of charitable
organizations, other than activities related to
Hurricane Katrina relief.
25Church School Free of Form 990Dont forget to
File Form 5578
- The IRS ruled that a separately-incorporated,
church controlled private elementary and
secondary school was exempt from federal income
taxation as a result of its relationship with the
church and was not required to file an annual
information return (Form 990) with the IRS. The
IRS noted that all tax exempt organizations must
file a Form 990 each year, except for those
organizations exempted by law. The tax code
exempts an educational organization (below
college level) that has a program of a general
academic nature, and that is affiliated with a
church or operated by a religious order. The
tax regulations clarify that a school is
affiliated with a church or a convention or
association of churches. IRS Private Letter
Ruling 100615027. A church does need to file
Form 5578 a certificate of racial
non-discrimination each year. The form is due by
the 15th day of the fifth month following the end
of the organizations fiscal year.
26Two General Rules for Charitable Gifts
- Two general rules that a church or religious
organization needs to be aware of to meet
substantiation and disclosure requirements for
federal income tax return reporting purposes. - A donor is responsible for obtaining a written
acknowledgement from a charity for any single
contribution of 250 or more before the donor can
claim a charitable contribution on his or her
federal income tax return. - A charitable organization is required to provide
a written disclosure to a donor who receives
goods or services in exchange for a single
payment in excess of 75.
27Written Acknowledgement
- The written acknowledgement should contain the
following information - name of the church or religious organization
- date of the contribution
- amount of any cash contribution, and
- description (but not value) of non-cash
contributions - In addition, the timely, written statement must
contain one of the following - statement that no goods or services were provided
by the church or religious organizations in
return for the contribution, - statement that goods or services that a church or
religious organization provided in return for the
contribution consisted entirely of intangible
religious benefits, or - description and good faith estimate of the value
of goods or services other than intangible
religious benefits that the church or religious
organization provided in return for the
contribution. - The church or religious organization may either
provide separate acknowledgements for each single
contribution of 250 or one acknowledgement that
lists all the contributions.
28Gifts
- Cash and checks
- Stock
- Real Estate and interests in Real Estate
- Tangible personal property
- Other forms of property (ex. Auto)
- Accepting/declining gifts
- If a gift is given whereby the person is
designated, the church should let the donor know
that the gift cannot be considered tax
deductible. - If the church has control over the gift, then the
contribution can be tax deductible. There is an
extremely fine line between a personal
nondeductible gift to a missionary (or other
religious worker) and a tax deductible gift to a
charity to provide funding for the ministry of a
particular employee of the charity. The key is
the intention of the donor to benefit the charity
and the charitys discretion and control over the
gift.
29Benevolence Fund Policy
- Contributions made directly by a donor to needy
individuals are not tax deductible. If funds are
raised on a case-by-case basis, it is likely that
any donations made will not be tax deductible.
To quality for a charitable deduction,
contributions must be made to a qualified
organization. The church needs to adopt a Good
Samaritan/Benevolence fund policy. A Good
Samaritan/Benevolence committee should be set up
or the function of selecting needy donees can be
assigned to another existing committee of the
church. It is important that all of the
decisions be made totally independent of donors
suggestions and on the basis of need and other
objective criteria. (IRS publication
526-Charitable Contributions).
30Lesson 4 Audit Guidelines
- How important are internal controls? Extremely
important. - How big is the theft problem? Huge problem that
has affected insurance policies. - Who commits the crime? Anyone can.
- What are the components that may cause a crime?
Components can be need and opportunity. The
person may begin to rationalize the action.
31Lesson 3 An Annual Audit
- What is an audit?
- A local church audit is an independent evaluation
of the financial reports and records and the
internal controls of the local church by a
qualified person or persons for the purpose of
reasonably verifying the reliability of financial
reporting, determining whether assets are being
safeguarded, and whether the law, the Discipline
and policies and procedures are being complied
with. - Why Audit?
- For the Discipline tells me so.
32An Annual Audit and Disclosure
- Who can Audit?
- The Book of Discipline does not define what a
local church audit is. It does not, for example,
say that an audit must be performed by a
professional, or that it must conform to
generally accepted auditing standards, or that is
must be prefaced by the usual representations and
caveats that auditing firms incorporate into
their audits. - Recommendations are to have a person who has some
experience with accounting principles, who has
the time to devote, and the initiative to follow
through. - Churches with annual receipts of about 300,000
to 400,000 should seriously consider engaging an
outside auditing firm to perform the audit. -
- When to have an audit?
- An annual financial review should be done when
the financial statement is prepared for year end.
The Book of Discipline requires that this be
done yearly. - What does an audit do?
- An audit should independently verify the reports
of the treasurer follow the money and test how
it is treated at different steps document that
donated and earned funds of the congregation have
been used as stipulated by the donors.
33Internal Controls
- Areas of concern that should be evaluated
- Cash controls
- Accounting controls (systems that reduce the
possibility of loss or errors) - Segregations of duties (assurances that more than
one person is involved in critical steps in
handling money so that there can be checks and
balances) - Reasonableness of systems and procedures in the
light of all factors including the size of the
church and its budget - Adequacy of insurance coverage
- Systems for retaining and accessing meeting
minutes that have financial implications (i.e.
Finance Committee, Trustees, Charge Conference) - Records that show donors stipulations for the
use of gifts made to the local church. - And in addition to the church, other groups with
separate treasuries or bank accounts using the
same tax id number as the church including for
example, United Methodist Men, United Methodist
Youth Fund, Church school, and others. The only
exception is the United Methodist Women which
should be audited but may be audited separately.
34Internal Controls
- Other areas to check
- Is the correct employer identification number
(EIN) on all accounts - Are investments made only by authorized person
- Are authorized signatures with banks up to date
and complete? - Are payroll taxes being paid on time?
- Are computer software and data files backed up on
a regular basis and are back-ups kept off
premises? - Are loan documents being read and complied with?
- Are reports from the treasurer, financial
secretary and business manager, if any, to the
finance committee accurate, timely and complete
enough to provide necessary information for the
committee to make prudent decisions? - Is there a current inventory of fixed assets?
- Is there a policy on records retention?
35Good Stewardship
- Conducting an audit is not a symbol of distrust.
It is a mark of responsibility. - It is good stewardship demonstrated for all to
see. - It is a message to the local church donors that
you care about their gifts.
36Resources
- Resources for this presentation have come from
the General Council on Finance and
Administration, the Internal Revenue Service, and
financial books including Dan Busbys Church and
Non Profit Tax and Financial Guide. - Websites www.gcfa.org and www.irs.gov