Supreme Court of United States.
This case began when the Internal Revenue Service revoked the tax-exempt status of the appellee, a nonprofit religious corporation. The appellee had previously enjoyed a tax exemption under § 501 (c) (3) of the 1954 Internal Revenue Code, 26 U. S. C. § 501 (c) (3). This section defines exempt organizations, in pertinent part, as:
"Corporations . . . organized and operated exclusively for religious . . . purposes . . . , no substantial...
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