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Er 1.472 1(k) of the Income Tax Regulations and Rev. Proc. 86 46, 1986 2 C.B. 739, for appropriate application to inventories of department stores employing the retail inventory and last-in, firstout inventory methods for tax years ended on, or with reference to, July 31, 2000. The Department Store Inventory Price Indexes are prepared on a national basis and include (a) 23 major groups of departments, (b) three special combinations of the major groups soft goods, durable goods, and.
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Misc FAQ
The Revenue Procedure provides the following: A: Taxpayer can loan funds to the EAT to acquire Replacement Property or guarantee third party financing. B: Taxpayer can indemnify the EAT against costs and expenses. C: Taxpayer can lease the parked property from the EAT.
Revenue Ruling 2004-24 addresses three situations in which a REIT's income from making parking spaces available in a parking facility located at the REIT's rental property qualifies as income from the provision of customary services, and thus qualifying rents from real property under IRC Section 856(d).
In Rev. Rul. 2004-77, the IRS ruled that if an eligible entity has two members under local law, but one of the members is a disregarded entity owned by the other member, the eligible entity cannot be classified as a partnership and is taxed as a disregarded entity or can elect to be taxed as a corporation.
Rul. 76-428 provide that a facility is “placed in service” when all the critical tests are successfully achieved and a “state of readiness and availability for a specifically assigned function”, such as “daily operation”, has been demonstrated even though subsequent testing may be performed to eliminate any defects.
This revenue procedure provides automatic relief for late filing of shareholder consents for spouses of S corporation shareholders in community property states. A corporation that does not meet the requirements for relief or is denied relief under this revenue procedure may request relief under ' 1.1362-6(b)(3)(iii).
This ruling holds that an employer has reduced retiree health coverage, within the meaning of section 420(c)(2)(E) of the Code, if an individual who has coverage for retiree health benefits (“covered individual”) accepts an offer from the employer to waive the coverage in exchange for enhanced pension benefits.
A revenue ruling is an official interpretation by the IRS of the Internal Revenue Code, related statutes, tax treaties and regulations. It is the conclusion of the IRS on how the law is applied to a specific set of facts.
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Nov 13, 2000 — Rev. Proc. 2000–47, page 482. This procedure informs the public of the...
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