In Private Letter Ruling 8739009, the IRS ruled that a rabbi's teaching and the performance of religious services for a Jewish education foundation were clearly ministerial in nature, and qualified for the housing allowance exclusion.
In Private Letter Ruling 8739009, the IRS ruled that a rabbi's teaching and the performance
In Private Letter Ruling 8739009, the IRS ruled that a rabbi's teaching and the performance of religious services for a Jewish education foundation were clearly ministerial in nature, and qualified for the housing allowance exclusion.
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