Question
(redacted)
February 5, 1985
Ms. Addie Williams
Compliance Specialist
Federal Trade Commission
Room 301
Washington, D.C. 20580
Dear Ms. Williams:
Thank you for the time you spent on the phone with me today concerning the possible applicability of the pre-merger notification requirements to not-for-profit hospitals sponsored by religious orders. It was certainly reassuring to have you agree with us that the notification requirements would only apply to a not-for-profit setting if assets were being transferred between 501(c)(3) corporations or if 501(c)(3) not-for-profit corporations were being combined so that the assets would then be owned by a single corporation.
Thank you again for your assistance.
Sincerely,
(redacted)
(redacted)