[Code of Federal Regulations]
[Title 26, Volume 7]
[Revised as of April 1, 2004]
From the U.S. Government Printing Office via GPO Access
[CITE: 26CFR1.513-7]

[Page 181-183]
 
                       TITLE 26--INTERNAL REVENUE
 
    CHAPTER I--INTERNAL REVENUE SERVICE, DEPARTMENT OF THE TREASURY 
                               (CONTINUED)
 
PART 1_INCOME TAXES--Table of Contents
 
Sec. 1.513-7  Travel and tour activities of tax exempt organizations.

    (a) Travel tour activities that constitute a trade or business, as 
defined in Sec. 1.513-1(b), and that are not substantially related to 
the purposes for which exemption has been granted to the organization 
constitute an unrelated trade or business with respect to that 
organization. Whether travel tour activities conducted by an 
organization are substantially related to the organization's exempt 
purpose is determined by looking at all relevant facts and 
circumstances, including, but not limited to, how a travel tour is 
developed, promoted and operated. Section 513(c) and Sec. 1.513-1(b) 
also apply to travel tour activity. Application of the rules of section 
513(c) and Sec. 1.513-1(b) may result in different treatment for 
individual tours within an organization's travel tour program.
    (b) Examples. The provisions of this section are illustrated by the 
following examples. In all of these examples, the travel tours are 
priced to produce a profit for the exempt organization. The examples are 
as follows:

    Example 1. O, a university alumni association, is exempt from 
federal income tax under section 501(a) as an educational organization 
described in section 501(c)(3). As part of its activities, O operates a 
travel tour program. The program is open to all current members of O and 
their guests. O works with travel agencies to schedule approximately 10 
tours annually to various destinations around the world. Members of O 
pay $x to the organizing travel agency to participate in a tour. The 
travel agency pays O a per person fee for each participant. Although the 
literature advertising the tours encourages O's members to continue 
their lifelong learning by joining the tours, and a faculty member of 
O's related university frequently joins the tour as a guest of the 
alumni association, none of the tours includes any scheduled instruction 
or curriculum related to the destinations being visited. The travel 
tours made available to O's members do not contribute importantly to the 
accomplishment

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of O's educational purpose. Rather, O's program is designed to generate 
revenues for O by regularly offering its members travel services. 
Accordingly, O's tour program is an unrelated trade or business within 
the meaning of section 513(a).
    Example 2. N is an organization formed for the purpose of educating 
individuals about the geography and culture of the United States. It is 
exempt from federal income tax under section 501(a) as an educational 
and cultural organization described in section 501(c)(3). N engages in a 
number of activities to accomplish its purposes, including offering 
courses and publishing periodicals and books. As one of its activities, 
N conducts study tours to national parks and other locations within the 
UnitedStates. The study tours are conducted by teachers and other 
personnel certified by the Board of Education of the State of P. The 
tours are directed toward students enrolled in degree programs at 
educational institutions in P, as reflected in the promotional 
materials, but are open to all who agree to participate in the required 
study program. Each tour's study program consists of instruction on 
subjects related to the location being visited on the tour. During the 
tour, five or six hours per day are devoted to organized study, 
preparation of reports, lectures, instruction and recitation by the 
students. Each tour group brings along a library of material related to 
the subject being studied on the tour. Examinations are given at the end 
of each tour and the P StateBoard of Education awards academic credit 
for tour participation. Because the tours offered by N include a 
substantial amount of required study, lectures, report preparation, 
examinations and qualify for academic credit, the tours are 
substantially related to N's educational purpose. Accordingly, N's tour 
program is not an unrelated trade or business within the meaning of 
section 513(a).
    Example 3. R is a section 501(c)(4) social welfare organization 
devoted to advocacy on a particular issue. On a regular basis throughout 
the year, R organizes travel tours for its members to Washington, DC. 
While in Washington, the members follow a schedule according to which 
they spend substantially all of their time during normal business hours 
over several days attending meetings with legislators and government 
officials and receiving briefings on policy developments related to the 
issue that is R's focus. Members do have some time on their own in the 
evenings to engage in recreational or social activities of their own 
choosing. Bringing members to Washington to participate in advocacy on 
behalf of the organization and learn about developments relating to the 
organization's principal focus is substantially related to R's social 
welfare purpose. Therefore, R's operation of the travel tours does not 
constitute an unrelated trade or business within the meaning of section 
513(a).
    Example 4. S is a membership organization formed to foster cultural 
unity and to educate X Americans about X, their country of origin. It is 
exempt from federal income tax under section 501(a) and is described in 
section 501(c)(3) as an educational and cultural organization. 
Membership in S is open to all Americans interested in the X heritage. 
As part of its activities, S sponsors a program of travel tours to X. 
The tours are divided into two categories. Category A tours are trips to 
X that are designed to immerse participants in the X history, culture 
and language. Substantially all of the daily itinerary includes 
scheduled instruction on the X language, history and cultural heritage, 
and visits to destinations selected because of their historical or 
cultural significance or because of instructional resources they offer. 
Category B tours are also trips to X, but rather than offering scheduled 
instruction, participants are given the option of taking guided tours of 
various X locations included in their itinerary. Other than the optional 
guided tours, Category B tours offer no instruction or curriculum. 
Destinations of principally recreational interest, rather than 
historical or cultural interest, are regularly included on Category B 
tour itineraries. Based on the facts and circumstances, sponsoring 
Category A tours is an activity substantially related to S's exempt 
purposes, and does not constitute an unrelated trade or business within 
the meaning of section 513(a). However, sponsoring Category B tours does 
not contribute importantly to S's accomplishment of its exempt purposes 
and, thus, constitutes an unrelated trade or business within the meaning 
of section 513(a).
    Example 5. T is a scientific organization engaged in environmental 
research. T is exempt from federal income tax under section 501(a ) as 
an organization described in section 501(c)(3). T is engaged in a long-
term study of how agricultural pesticide and fertilizer use affects the 
populations of various bird species. T collects data at several bases 
located in an important agricultural region of country U. The minutes of 
a meeting of T's Board of Directors state that, after study, the Board 
has determined that non-scientists can reliably perform needed data 
collection in the field, under supervision of T's biologists. The Board 
minutes reflect that the Board approved offering one-week trips to T's 
bases in U, where participants will assist T's biologists in collecting 
data for the study. Tour participants collect data during the same hours 
as T's biologists. Normally, data collection occurs during the early 
morning and evening hours, although the work schedule varies by season. 
Each base has rustic accommodations and few amenities, but country U is 
renowned for its beautiful scenery and abundant wildlife. T

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promotes the trips in its newsletter and on its Internet site and 
through various conservation organizations. The promotional materials 
describe the work schedule and emphasize the valuable contribution made 
by trip participants to T's research activities. Based on the facts and 
circumstances, sponsoring trips to T's bases in country U is an activity 
substantially related to T's exempt purpose, and, thus, does not 
constitute an unrelated trade or business within the meaning of section 
513(a).
    Example 6. V is an educational organization devoted to the study of 
ancient history and cultures and is exempt from federal income tax under 
section 501(a) as an organization described in section 501(c)(3). In 
connection with its educational activities, V conducts archaeological 
expeditions around the world, including in the Y region of country Z. In 
cooperation with the National Museum of Z, V recently presented an 
exhibit on ancient civilizations of the Y region of Z, including 
artifacts from the collection of the Z National Museum. V instituted a 
program of travel tours to V's archaeological sites located in the Y 
region. The tours were initially proposed by V staff members as a means 
of educating the public about ongoing field research conducted by V. V 
engaged a travel agency to handle logistics such as accommodations and 
transportation arrangements. In preparation for the tours, V developed 
educational materials relating to each archaeological site to be visited 
on the tour, describing in detail the layout of the site, the methods 
used by V's researchers in exploring the site, the discoveries made at 
the site, and their historical significance. V also arranged special 
guided tours of its exhibit on the Y region for individuals registered 
for the travel tours. Two archaeologists from V (both of whom had 
participated in prior archaeological expeditions in the Y region) 
accompanied the tours. These experts led guided tours of each site and 
explained the significance of the sites to tour participants. At several 
of the sites, tour participants also met with a working team of 
archaeologists from V and the National Museum of Z, who shared their 
experiences. V prepared promotional materials describing the educational 
nature of the tours, including the daily trips to V's archaeological 
sites and the educational background of the tour leaders, and providing 
a recommended reading list. The promotional materials do not refer to 
any particular recreational or sightseeing activities. Based on the 
facts and circumstances, sponsoring trips to the Y region is an activity 
substantially related to V's exempt purposes. The scheduled activities, 
which include tours of archaeological sites led by experts, are part of 
a coordinated educational program designed to educate tour participants 
about the ancient history of the Y region of Z and V's ongoing field 
research. Therefore, V's tour program does not constitute an unrelated 
trade or business within the meaning of section 513(a).
    Example 7. W is an educational organization devoted to the study of 
the performing arts and is exempt from federal income tax under section 
501(a) as an organization described in section 501(c)(3). In connection 
with its educational activities, W presents public performances of 
musical and theatrical works. Individuals become members of W by making 
an annual contribution to W of $q. Each year, W offers members an 
opportunity to travel as a group to one or more major cities in the 
United States or abroad. In each city, tour participants are provided 
tickets to attend a public performance of a play, concert or dance 
program each evening. W also arranges a sightseeing tour of each city 
and provides evening receptions for tour participants. W views its tour 
program as an important means to develop and strengthen bonds between W 
and its members, and to increase their financial and volunteer support 
of W. W engaged a travel agency to handle logistics such as 
accommodations and transportation arrangements. No educational materials 
are prepared by W or provided to tour participants in connection with 
the tours. Apart from attendance at the evening cultural events, the 
tours offer no scheduled instruction, organized study or group 
discussion. Although several members of W's administrative staff 
accompany each tour group, their role is to facilitate member 
interaction. The staff members have no special expertise in the 
performing arts and play no educational role in the tours. W prepared 
promotional materials describing the sightseeing opportunities on the 
tours and emphasizing the opportunity for members to socialize 
informally and interact with one another and with W staff members, while 
pursuing shared interests. Although W's tour program may foster goodwill 
among W members, it does not contribute importantly to W's educational 
purposes. W's tour program is primarily social and recreational in 
nature. The scheduled activities, which include sightseeing and 
attendance at various cultural events, are not part of a coordinated 
educational program. Therefore, W's tour program is an unrelated trade 
or business within the meaning of section 513(a).

[T.D. 8874, 65 FR 5773, Feb. 7, 2000; 65 FR 16143, Mar. 27, 2000]