Treasury, IRS Seek Comment on Priority List

McConnell, Alison L.
March 2006
Bond Buyer;3/27/2006, Vol. 355 Issue 32347, p6
Trade Publication
The article reports that the U.S. Department of the Treasury and the Internal Revenue Service has invited the public to give a comment on what to include on their 2006-2007 "Guidance Priority List." This list has been used by the Treasury's Office of Tax Policy to identify and prioritize the tax issues addressed through regulations, revenue rulings, notices, and other published administrative guidance.


Related Articles

  • Controlling Shareholder Deferrals And Other 409A Urban Legends. Gephart, John // National Underwriter / Life & Health Financial Services;3/17/2008, Vol. 112 Issue 10, p26 

    The article offers information on the provisions of the enacted Internal Revenue Code Section 409A by the U.S. Congress relative to the control of shareholder deferrals. The purpose of section 409A is to restrict certain abuses in the design and operation of nonqualified deferred compensation...

  • Cross Border M&A: US Treasury and Internal Revenue Service Embed Important Positions in Preamble to Recently Issued Corporate Inversion Final Regulations.  // Venulex Legal Summaries;2008 Q2, Special section p1 

    The article reports on the final regulations released by the U.S. Treasury and Internal Revenue Service on May 20, 2008, which addressed the treatment of affiliate-owned stock for purposes of the corporate inversion rules. The regulations were in accordance to Internal Revenue Code section 7874....

  • Understanding the Impact of Revenue Ruling 2008-24.  // Bank Investment Consultant;Nov2009, Vol. 17 Issue 11, pA6 

    The article discusses the impact of the Revenue Ruling 2008-24 produced by the Treasury Department and Internal Revenue Service in the U.S. It explains that the Revenue Procedure 2008-24 offers guidance on the tax consequences of a partial exchange which involved nonqualified annuity contracts....

  • The IRS Mission.  // Internal Revenue Bulletin;7/28/2014, Vol. 2014 Issue 31, preceding p241 

    The article explains the purpose of the Internal Revenue Bulletin, which is to announce government revenue procedures of the U.S. Internal Revenue Service (IRS), that is responsible for tax collection and tax law enforcement. The bulletin is published weekly and is divided into four parts...

  • Mergers and Acquisitions. Avent Jr., Thomas W. // Corporate Business Taxation Monthly;Sep2004, Vol. 5 Issue 12, p14 

    Focuses on the issuance of proposed regulations under Internal Revenue Code Section 358 by the U.S. Internal Revenue Service and the Department of the Treasury. Determination of basis of stock or securities received in exchange for, or with respect to stock or securities in certain transactions;...

  • Final Regs Amplify the Expanded Affiliated Group Production Incentive. Feinschreiber, Robert; Kent, Margaret // Corporate Business Taxation Monthly;Jul2007, Vol. 8 Issue 10, p43 

    The article focuses on the Internal Revenue Code Section 199 (Code Sec. 199), which aims to increase the production incentive in Expanded Affiliated Group (EAG) announced by the Department of the Treasury and Internal Revenue Service (IRS) in the U.S. The authors stated that the taxpayers find...

  • Tax Executives Institute _ U.S. Department of Treasury Office of Tax Policy Liaison Meeting.  // Tax Executive;Jan/Feb2005, Vol. 57 Issue 1, p68 

    Presents the proceedings from the meeting held between the Tax Executives Institute and the U.S. Department of Treasury on February 8, 2005. Commendation to the guidance issued on January 13, 2005 regarding the new provisions in the Internal Revenue Code's section 965; Issues regarding the...

  • Part III. Administrative, Procedural, and Miscellaneous.  // Internal Revenue Bulletin;11/5/2012, Vol. 2012 Issue 45, p538 

    The article discusses the U.S. Internal Revenue Service (IRS) section 6050W. The notice outlines interim guidance to payment entities by middlemen or payors in the U.S. regarding the conditions in which the return of information required under 1.6050W-1(a)(1) is relevant with respect to a...

  • Proposed Rules: DEPARTMENT OF THE TREASURY.  // Federal Register;3/11/2013, Vol. 78 Issue 47, p15337 

    The article focuses on the cancellation of the U.S. Department of Treasury on the notice of public hearing for proposed regulations under the Internal Revenue Code by the Internal Revenue Service.


Read the Article


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

Try another library?
Sign out of this library

Other Topics