INCOME TAX
Ct. D. 2082(HTML)
Sale of seized real property by IRS; federal tax delinquency.
The Supreme Court holds that the national interest in
providing a federal forum for federal tax litigation is sufficiently
substantial to support the exercise of federal-question jurisdiction
over the disputed issue on removal. Grable & Sons Metal
Products, Inc. v. Darue Engineering & Manufacturing.
Rev. Rul. 2006-16(HTML)
Joint and several liability; relief under section 6015. This
ruling discusses the issue of whether a taxpayer is precluded
from raising a request for relief from joint and several liability
under section 6015 by virtue of a previous Chapter 7 bankruptcy
case in which the Service filed a proof of claim, but the
bankruptcy court did not make an actual determination of tax liability.
Rev. Rul. 2006-22(HTML)
Federal rates; adjusted federal rates; adjusted federal
long-term rate and the long-term exempt rate. For purposes
of sections 382, 642, 1274, 1288, and other sections
of the Code, tables set forth the rates for April 2006.
T.D. 9245(HTML)
Final regulations under section 6103(j) of the Code incorporate
and clarify the phrase "return information reflected on returns"
in conformance with the terms of section 6103(j)(5), which provides
for limited disclosures of returns and return information
in connection with the census of agriculture.
T.D. 9253(HTML)
The Treasury Department and the IRS issued comprehensive
withholding and reporting regulations (T.D. 8734 and
T.D. 8881) that became effective on January 1, 2001. In
Notice 2001-4, 2001-1 C.B. 267; Notice 2001-11, 2001-1
C.B. 464; and Notice 2001-43, 2001-2 C.B. 72; the Treasury
Department and the IRS announced the intention to amend
the final regulations. These final regulations implement certain
changes announced in those notices and other changes. In
addition, these final regulations provide guidance under section
411 of the American Jobs Act of 2004. Notice 2001-11
and certain sections of Notices 2001-4 and 2001-43 superseded.
Notice 2006-34(HTML)
The Treasury Department and the Service request information
that will be considered in formulating guidance on the income
tax treatment of cross licensing arrangements.
Notice 2006-35(HTML)
This notice modifies Announcement 2000-48, 2000-1 C.B.
1243, and Notice 2001-43, 2001-2 C.B. 72, by providing
that, generally, a branch of a financial institution may not act
as a qualified intermediary (QI) after December 31, 2006, in
a country that does not have approved know-your-customer
(KYC) rules. Announcement 2000-48 and Notice 2001-43 modified.
TAX CONVENTIONS
Announcement 2006-21(HTML)
This announcement sets forth a copy of the mutual agreement
entered into on February 15, 2006, by the Competent Authorities
of the United States and Spain, regarding the treatment
of limited liability companies (LLCs), S corporations, and other
business entities treated as partnerships or disregarded entities
for U.S. tax purposes under the U.S.-Spain income tax treaty and protocol.
ADMINISTRATIVE
Rev. Rul. 2006-16(HTML)
Joint and several liability; relief under section 6015. This
ruling discusses the issue of whether a taxpayer is precluded
from raising a request for relief from joint and several liability
under section 6015 by virtue of a previous Chapter 7 bankruptcy
case in which the Service filed a proof of claim, but the
bankruptcy court did not make an actual determination of tax liability.
Rev. Proc. 2006-17(HTML)
This procedure provides issuers of qualified mortgage bonds
(QMBs) and qualified mortgage credit certificates (MCCs) with
average area purchase price safe-harbors for statistical areas
in the United States and with a nationwide average purchase
price for residences in the United States for purposes of the
QMB rules under section 143 of the Code and the MCC rules
under section 25. Rev. Proc. 2005-15 obsoleted in part.
Announcement 2006-23(HTML)
Announcement of Disciplinary Actions Involving Attorneys, Certified Public Accountants, Enrolled Agents, and Enrolled Actuaries — Suspensions, Censures, Disbarments, and Resignations
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