IRS' New QZAB Rules Permit '63-20' Issuing
- Reading the Tea Leaves on IRS Plans for New Utility Rules. Kinnander, Ola // Bond Buyer;12/05/2000, Vol. 334 Issue 31030, p1
Reports on the plan of the United States Internal Revenue Service on the regulation of how bonds should be treated in a competitive energy market. Electric utility output regulations; Sale and transport of energy.
- Ruling May Impose Added Costs in Multifamily Deals. Vadum, Matthew // Bond Buyer;11/01/2000, Vol. 334 Issue 31008, p6
Reports on the ruling of the United States Internal Revenue Service that may impose added costs in multifamily bond deals. Three technical advice memorandum released.
- IRS continues its yield-burning probes while looking to other complex issues. Resnick, Amy B. // Bond Buyer;05/11/98, Vol. 324 Issue 30390, p1
Reports on the US Internal Revenue Service's (IRS) extension of its yield-burning probes into more sophisticated areas of bond issuance abuse. Conclusion of all federal yield-burning charges related to CoreStates Financial Corp.; Investigation of problems unveiled in the IRS' random-audit...
- IRS panel coming up with next group of audit subjects. Resnick, Amy B. // Bond Buyer;05/19/98, Vol. 324 Issue 30396, p1
Focuses on US Internal Revenue Service's financial institutions and products branch's efforts to determine which bond issues will be subjected to the service's next round of random audits. Follow up to the completed random audit of small-issue industrial development bonds; Analysis of the...
- Work opportunity credit form developed. // Practical Accountant;Dec96, Vol. 29 Issue 12, p20
Reports that the US Internal Revenue Service has issued Form 8850 to help employers determine if a worker will make them eligible for the Work Opportunity Tax Credit.
- Work opportunity/welfare credits clarified. // Practical Accountant;Nov99, Vol. 32 Issue 11, p14
Reports on the United States Internal Revenue Service's issuance of Notice 99-51 which clarifies the Work Opportunity Tax Credit and Welfare-to-Work Tax Credit.
- Survey Notes Arbitrage Concerns. Kinnander, Ola // Bond Buyer;08/23/2000, Vol. 333 Issue 30960, p1
Focuses on the disclosure of the United States Internal Revenue Service that some private-activity bond issuers are relying on conduit borrowers to do arbitrage rebate calculations accurately. Rules on tax-exempt bonds; Staffing problems of private-activity bond issuers; Number of issuers that...
- IRS wants bond lawyers' input on outlining appeal options. Kinnander, Ola // Bond Buyer;03/02/2000, Vol. 331 Issue 30840, p1
Reports that the United States Internal Revenue Service is working with bond lawyers to draft form letters that would inform issuers of their appeal options when the agency has determined their bonds are taxable. Revenue procedure upon which the three form letters are based; Example of a letter...
- SEC, IRS seek yield-burning cure exempting the innocent. Hume, Lynn Stevens // Bond Buyer;01/27/98, Vol. 323 Issue 30318, p1
Focuses on the partnership between the US Securities and Exchange Commission (SEC) and the US Internal Revenue Service to try to come up with a way to settle as many yield-burning cases as possible so that innocent bondholders and issuers are not harmed. Comment by William R. Baker, associate...