There are no links to the official documents for the years 1989 through 1995.
The information below can only be used as help for further research, as
there is not enough information here to rely on for official guidance.
For that you need to obtain a copy of the complete document.
INCOME TAX
Rev. Rul. 93-82
Federal rates; adjusted federal rates; adjusted federal long-term
rate, and the long-term exempt rate. For purposes of sections 1274,
1288, 382, and other sections of the Code, tables set forth the
rates for December 1993.
Rev. Rul. 93-83
Low-income housing credit; satisfactory bond; "bond factor" amounts
for October, November, and December 1993. This ruling announces the
monthly bond factor amounts to be used by taxpayers who dispose of
qualified low-income buildings or interests therein during the
months of October, November, and December 1993.
Rev. Rul. 93-84
Installment method of accounting; year-end sale of stock or
securities. A cash basis taxpayer must report the gain or loss
realized from a year-end sale of stock or securities, traded on an
established securities market, in the year in which the trade date
falls. Rev. Ruls. 70-344, 78-270, and 82-227 obsoleted.
Rev. Rul. 93-85
Extensions of time to file and to file and pay for certain foreign
corporations. The extensions of time to file and of time to file and
pay available to certain foreign corporations under sections
1.6081-3(a) and 1.6081-5(a), respectively, are not mutually
exclusive and may be granted for the same taxable year under certain
conditions. However, the maximum allowable extension is six months.
Announcement 93-145
A list of organizations is provided that no longer qualify as
organizations, contributions to which are deductible under section
170 of the Code.
ADMINISTRATIVE
Notice 93-59
This notice shows the amount that is exempt from levy on an
individual's wages, salary, and other income under section 6334(d)
of the Code.
Announcement 93-144
A public hearing will be held on January 28, 1994, on two proposed
procedures. One procedure would allow taxpayers to request early
referral of an issue from Examination to Appeals. The other
procedure would allow taxpayers to request involvement of Appeals in
competent authority issues.
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