This revenue procedure modifies Rev. Proc. 2006-12, 2006-3 I.R.B. 310,
                        which provides procedures under which a taxpayer may obtain automatic consent
                        to change to a method of accounting provided in §§ 1.263(a)-4,
                        1.263(a)-5, or 1.167(a)-3(b) of the Income Tax Regulations (the “final
                        regulations”) for a taxable year ending on or after December 31, 2005,
                        and for any earlier taxable year that is after the taxpayer’s second
                        taxable year ending on or after December 31, 2003.  The modifications provided
                        by this revenue procedure allow a taxpayer to utilize the advance consent
                        procedures of Rev. Proc. 97-27, 1997-1 C.B. 680, as modified and amplified
                        by Rev. Proc. 2002-19, 2002-1 C.B. 696, as amplified and clarified by Rev.
                        Proc. 2002-54, 2002-2 C.B. 432, when seeking a change to a method of accounting
                        provided in the final regulations in conjunction with a change for the same
                        item to a method of accounting utilizing the 31/2 month
                        rule authorized by § 1.461-4(d)(6)(ii) or the recurring item exception
                        authorized by § 1.461-5.
                     
                   
                  
                     
                     .01 Rev. Proc. 2006-12 provides procedures under which a taxpayer may
                        obtain automatic consent to change to a method of accounting provided in the
                        final regulations for a taxable year ending on or after December 31, 2005,
                        and for any earlier taxable year that is after the taxpayer’s second
                        taxable year ending on or after December 31, 2003.  Rev. Proc. 2006-12 modified
                        and amplified Rev. Proc. 2002-9, 2002-1 C.B. 327, as modified and clarified
                        by Announcement 2002-17, 2002-1 C.B. 561, modified and amplified by Rev. Proc.
                        2002-19, 2002-1 C.B. 696, and amplified, clarified and modified by Rev. Proc.
                        2002-54, 2002-2 C.B. 432, to include the changes to methods of accounting
                        provided in the final regulations that are within the scope of Rev. Proc.
                        2006-12.
                     
                     .02 Section 6.02 of Rev. Proc. 2006-12 provides, in part, that if a
                        taxpayer seeks to change to a method of accounting utilizing the 31/2 month
                        rule or the recurring item exception for the item for which the taxpayer also
                        seeks to change to a method provided in the final regulations, the taxpayer
                        must file two separate applications for change in accounting method —
                        one for a change in method of accounting under Rev. Proc. 2006-12 to the method
                        of accounting provided in the final regulations and the other for a change
                        in method of accounting under Rev. Proc. 97-27 to a method of accounting utilizing
                        the 31/2 month rule or the
                        recurring item exception.
                     
                   
                  
                     
                        
                           
                              SECTION 3. CHANGES TO REV. PROC. 2006-12
                              
                            
                         
                        
                      
                     .01 The third sentence of section 2.07 of Rev. Proc. 2006-12 is modified
                        to read as follows:
                     
                     “Except as provided in section 3 of this revenue procedure, for
                        any change in method of accounting to which this revenue procedure applies,
                        a taxpayer may not file an application for a change in method of accounting
                        under Rev. Proc. 97-27, 1997-1 C.B. 680, as modified and amplified by Rev.
                        Proc. 2002-19, 2002-1 C.B. 696, as amplified and clarified by Rev. Proc. 2002-54,
                        2002-2 C.B. 432.”
                     
                     .02 Section 3 of Rev. Proc. 2006-12 is modified by adding the following
                        two sentences to the end:
                     
                     “However, a taxpayer that seeks to change its method of accounting
                        to utilize the 31/2 month
                        rule authorized by § 1.461-4(d)(6)(ii) or to utilize the recurring
                        item exception authorized by § 1.461-5 for the item for which the
                        taxpayer also seeks a change to a method of accounting provided in the final
                        regulations may apply for both changes for the same item on an application
                        for a change in method of accounting filed under Rev. Proc. 97-27.  The terms
                        and conditions in this revenue procedure apply to a request for a change to
                        a method of accounting provided in the final regulations filed under Rev.
                        Proc. 97-27.”
                     
                     .03 Section 6.02 of Rev. Proc. 2006-12 is modified by adding the following
                        two sentences to the end:
                     
                     “However, instead of filing two separate applications for a change
                        in method of accounting utilizing the 31/2 month
                        rule or the recurring item exception in conjunction with a change to a method
                        provided in the final regulations, a taxpayer may apply for both changes for
                        the same item on an application for a change in method of accounting filed
                        under Rev. Proc. 97-27.  The terms and conditions in this revenue procedure
                        apply to a request for a change to a method of accounting provided in the
                        final regulations filed under Rev. Proc. 97-27.”
                     
                   
                  
                     
                        
                           
                              SECTION 4. APPLICATIONS PREVIOUSLY FILED UNDER REV. PROC. 97-27
                              
                            
                         
                        
                      
                     If a taxpayer has already filed a Form 3115, Application for
                              Change in Accounting Method, under Rev. Proc. 97-27 to utilize
                        the 31/2 month rule or the
                        recurring item exception with respect to an item under the final regulations,
                        the taxpayer may amend the Form 3115 filed under Rev. Proc. 97-27 to include
                        a change to a method of accounting provided in the final regulations for the
                        same item.
                     
                   
                  
                     
                        
                           
                              SECTION 5. EFFECT ON OTHER DOCUMENTS
                              
                            
                         
                        
                      
                     Rev. Proc. 2006-12 is modified.
                   
                  
                     
                        
                           
                              SECTION 6. EFFECTIVE DATE
                              
                            
                         
                        
                      
                     This revenue procedure is effective for a taxable year ending on or
                        after December 31, 2005, and for any earlier taxable year that is after the
                        taxpayer’s second taxable year ending on or after December 31, 2003.
                     
                   
                  
                     
                        
                           
                              SECTION 7. CONTACT INFORMATION
                              
                            
                         
                        
                      
                     For further information regarding this revenue procedure, call Grace
                        Matuszeski of the Associate Chief Counsel (Income Tax and Accounting) at (202)
                        622-7900 (not a toll-free call).
                     
                   
                
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