Treasury, IRS: Guidance Comments Due April 30

Newman, Emily
March 2005
Bond Buyer;3/18/2005, Vol. 351 Issue 32093, p4
Trade Publication
This article reports that the U.S. Treasury Department and the Internal Revenue Service (IRS) have asked that the public submit recommendations by April 30, 2005 for items that should be included on the 2005-2006 guidance priority list. The IRS and Treasury's Office of Tax Policy use the list to identify and prioritize the tax issues that should be addressed through regulations, revenue rulings, revenue procedures, notices, and other published administrative guidance each year. The 2005-2006 guidance priority list will establish the guidance that the two agencies intend to issue from July 1, 2005, through June 30, 2006.


Related Articles

  • The Continuing Evolution of Circular 230: Proposed Regulations Repealing the "Covered Opinion" Standards, Imposing a General Competence Requirement and Expanding Existing Procedures to Ensure Compliance. Desmond, Michael J. // Journal of Tax Practice & Procedure;Dec2013/Jan2014, Vol. 15 Issue 6, p23 

    The article examines proposed regulations that would repeal the covered opinion standards in the U.S. Treasury's Circular 230, Section 10.35 as of Dececember 2013. The proposal aims to replace the standards with an expanded rule in Circular230, Section 10.37 applicable to all written tax advice....

  • Proposed Rules: DEPARTMENT OF THE TREASURY.  // Federal Register (National Archives & Records Service, Office of;12/18/2012, Vol. 77 Issue 243, p74798 

    The article presents a notice of proposed rulemaking from the U.S. Department of the Treasury's Internal Revenue Service on the awards of information relating to detection of underpayments of tax or vaiolations of the internal revenue laws. It notes that the proposed reulation is subjected for a...

  • Notice of Proposed Rulemaking Regulations Revising Rules Regarding Agency for a Consolidated Group.  // Internal Revenue Bulletin;6/18/2012, Vol. 2012 Issue 25, p1020 

    In this article, various regulations which revise the U.S. Internal Revenue Service rules under the U.S. Department of the Treasury for a consolidated group is provided. It describes proposed amendments to the regulations regarding the agents for an affiliated group that files consolidated...

  • Retirement & Savings Initiatives: Helping Americans Save for the Future.  // Employee Plans News;Sep2009, Vol. 9, p11 

    The article offers information on the notices and revenue rulings issued by the U.S. Internal Revenue Services (IRS) and Treasury, as part of the Retirement and Savings Initiatives, to promote retirement plan savings in the U.S. It notes that the notices contain guidance on using an automatic...

  • Treasury Department, IRS offer rollover relief. BRADFORD, HAZEL // Pensions & Investments;4/14/2014, Vol. 42 Issue 8, p8 

    The article focuses on a revenue ruling issued on April 3, 2014 by the U.S. Treasury Department and the Internal Revenue Service, which allows an administrator for the receiving pension plan to check the public database of Form 5500s to ensure that the funds are intended for tax-qualified plans.

  • IRS Guidance Tightens Several Provisions Regarding Tax-Free Corporate Transactions.  // Venulex Legal Summaries;2008 Q2, following p3 

    The article reports on the guidance issued by the U.S. Treasury and Internal Revenue Service (IRS) on transactional tax issues on May 8, 2008. The guidance is in the form of Treasury Regulations and a Revenue Ruling. One set of regulations provides that a safe harbor protecting taxfree corporate...

  • Minimizing Inappropriate Levies in IRS's Federal Payment Levy Program: GAO-03-318R. Brostek, Michael // GAO Reports;1/3/2003, p1 

    Each year, thousands of taxpayers who owe delinquent federal taxes receive billions of dollars in federal payments. To help the Internal Revenue Service (IRS) collect these delinquent taxes more effectively, the Congress passed the Taxpayer Relief Act of 1997, the provisions of which authorized...

  • The Application of Code Sec. 367 to Code Sec. 304(a)(1) Transactions. Athanasoulas, Christian J.; Masaitis, Scott M. // Corporate Business Taxation Monthly;Aug2006, Vol. 7 Issue 11, p19 

    The article examines the application of Code Sec. 367, that governs transfer of property to foreign corporations to the fictional Code Sec. 304(a)(1), which measures federal income liability in the U.S. It also looks at how the Internal Revenue Service and Department of the Treasury addressed...

  • Part III. Administrative, Procedural, and Miscellaneous.  // Internal Revenue Bulletin;5/26/2009, Vol. 2009 Issue 21, p1037 

    The article presents an invitation to the public to comment on the recommendations for items that need to be included in the 2009-2010 Guidance Priority List in the U.S. The Department of the Treasury and Internal Revenue Service seek public comments to be used in identifying and prioritizing...


Read the Article


Sorry, but this item is not currently available from your library.

Try another library?
Sign out of this library

Other Topics