Search Results: CFR:26 CFR Part 1

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1. Transfers To Provide for Satisfaction of Contested Liabilities; Hearing

PROPOSED RULES: Contested liabilities; transfers to provide for satisfaction; cross-reference; Public hearing canceled,

This document provides notice of cancellation of a public hearing on proposed rulemaking relating to transfers to provide for satisfaction of contested liabilities.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

2. Real Estate Mortgage Investment Conduits; Application of Section 446 With Respect to Inducement Fees

RULES: Real estate mortgage investment conduits; Section 446 application with respect to inducement fees,

This document contains final regulations relating to the proper timing and source of income from fees received to induce taxpayers to become the holders of noneconomic residual interests in Real Estate Mortgage Investment Conduits (REMICs).
DEPARTMENT OF THE TREASURY : Internal Revenue Service

3. Section 179 Elections

PROPOSED RULES: Section 179 elections; cost of property expense,

In the Rules and Regulations section of this issue of the Federal Register, the IRS is issuing temporary regulations under section 179 of the Internal Revenue Code relating to the election to expense the cost of property subject to section 179. The temporary regulations reflect changes to the law made by the Jobs and Growth Tax Relief
DEPARTMENT OF THE TREASURY : Internal Revenue Service

4. Electronic Filing of Duplicate Forms 5472

RULES: Duplicate Forms 5472; electronic filing,

This document contains a final regulation providing that a Form 5472 that is timely filed electronically is treated as satisfying the requirement timely to file a duplicate Form 5472 with the Internal Revenue Service Center in Philadelphia, Pennsylvania. This action is necessary to clarify how the duplicate filing requirements for Form 5472 apply
DEPARTMENT OF THE TREASURY : Internal Revenue Service

5. Changes in Computing Depreciation

PROPOSED RULES: Computing depreciation changes; cross-reference,

In the Rules and Regulations section of this issue of the Federal Register, the IRS is issuing temporary regulations under sections 446(e) and 1016(a)(2) of the Internal Revenue Code relating to a change in computing depreciation or amortization as well as a change from a nondepreciable or nonamortizable asset to a depreciable or amortizable asset
DEPARTMENT OF THE TREASURY : Internal Revenue Service

6. Allocation and Apportionment of Expenses; Alternative Method for Determining Tax Book Value of Assets

RULES: Alternative method for determining tax book value of assets; allocation and apportionment of expenses,

This document contains temporary regulations providing an alternative method of valuing assets for purposes of apportioning expenses under the tax book value method of Sec. 1.8619T. The alternative tax book value method, which is elective, allows taxpayers to determine, for purposes of apportioning expenses, the tax book value of all tangible
DEPARTMENT OF THE TREASURY : Internal Revenue Service

7. Changes in Use Under Section 168(i)(5)

RULES: Modified accelerated cost recovery system property acquired in like-kind exchange or as result of involuntary conversion; depreciation; Changes in use,

This document contains final and temporary regulations relating to the depreciation of property subject to section 168 of the Internal Revenue Code (MACRS property). Specifically, these regulations provide guidance on how to depreciate MACRS property for which the use changes in the hands of the same taxpayer. The regulations reflect changes to
DEPARTMENT OF THE TREASURY : Internal Revenue Service

8. Reorganizations Under Section 368(a)(1)(E) or (F)

PROPOSED RULES: Reorganization; transaction qualification requirements,

This document contains proposed regulations that provide guidance regarding the requirements for a transaction to qualify as a reorganization under section 368(a)(1)(E) or (F) of the Internal Revenue Code. The proposed regulations will affect corporations and their shareholders.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

9. Section 179 Elections; Hearing Cancellation

PROPOSED RULES: Section 179 elections; property cost; cross-reference; Public hearing canceled,

This document provides notice of cancellation of public hearing relating to the election to expense the cost of property subject to section 179.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

10. Information Reporting Relating to Taxable Stock Transactions; Correction

PROPOSED RULES: Taxable stock transactions; information reporting requirements; cross-reference; correction,

This document contains corrections to a withdrawal of previous proposed rules; notice of proposed rulemaking by crossreference to temporary regulations and notice of public hearing that was published in the Federal Register on Tuesday, December 30, 2003 (68 FR 75182), relating to information reporting by a corporation if control of the corporation
DEPARTMENT OF THE TREASURY : Internal Revenue Service

11. Modification of Check the Box; Correction

PROPOSED RULES: REIT and subchapter 8 subsidiaries and single-owner eligible entities disregarded as separate from their owners; clarification and public hearing; Correction,

This document corrects a notice of proposed rulemaking (REG- [[Page 22464]]
10668102) that was published in the Federal Register on Thursday, April 1, 2004 (69 FR 17117) that clarifies that qualified REIT subsidiaries, qualified subchapter S subsidiaries, and single owner eligible entities that are disregarded as entities separate from their owners
DEPARTMENT OF THE TREASURY : Internal Revenue Service

12. Modification of Check the Box; Hearing Cancellation

PROPOSED RULES: REIT and subchapter 8 subsidiaries and single-owner eligible entities disregarded as separate from their owners; clarification and hearing; Hearing cancellation,

This document provides notice of cancellation of a public hearing on proposed rulemaking that clarify that qualified REIT subsidiaries, qualified subchapter S subsidiaries, and single owner eligible entities that are disregarded as entities separate from their owners are treated as separate entities for purposes of any Federal tax liability for
DEPARTMENT OF THE TREASURY : Internal Revenue Service

13. Corporate Reorganizations; Transfers of Assets or Stock Following a Reorganization

PROPOSED RULES: Corporate reorganizations; asset and stock transfers,

This document contains proposed regulations that provide guidance regarding the effect of certain transfers of assets or stock on the qualification of certain transactions as reorganizations under section 368(a). This document also contains proposed regulations that provide guidance on the continuity of business enterprise requirement and the
DEPARTMENT OF THE TREASURY : Internal Revenue Service

14. Section 1374 Effective Dates

RULES: S corporations; section 1374 effective dates,

These temporary regulations provide guidance concerning the applicability of section 1374 to S corporations that acquire assets in carryover basis transactions from C corporations on or after December 27, 1994, and to certain corporations that terminate S corporation status and later elect again to become S corporations. The text of the temporary
DEPARTMENT OF THE TREASURY : Internal Revenue Service

15. New Markets Tax Credit Amendments

PROPOSED RULES: New markets tax credit; cross-reference,

In the Rules and Regulations section of this issue of the Federal Register, the IRS is issuing revised temporary regulations relating to the new markets tax credit. The text of those regulations also serves as the text of these proposed regulations. This document also provides notice of a public hearing on these proposed regulations.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

16. Reduction of Tax Attributes Due to Discharge of Indebtedness

RULES: Tax attributes reduction due to discharge of indebtedness,

This document contains final regulations regarding the reduction of tax attributes under sections 108 and 1017 of the Internal Revenue Code. These final regulations affect taxpayers that realize income from the discharge of indebtedness that is excluded from gross income pursuant to section 108.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

17. Time and Manner of Making Section 163(d)(4)(B) Election To Treat Qualified Dividend Income as Investment Income

RULES: Qualified dividend income; time and manner of making election to treat as investment income,

This document contains temporary regulations relating to an election that may be made by noncorporate taxpayers to treat qualified dividend income as investment income for purposes of calculating the deduction for investment interest. The regulations reflect changes to the law made by the Jobs and Growth Tax Relief Reconciliation Act of 2003. The
DEPARTMENT OF THE TREASURY : Internal Revenue Service

18. Treatment of Certain Nuclear Decommissioning Funds for Purposes of Allocating Purchase Price in Certain Deemed and

RULES: Purchase price allocation in deemed and actual asset acquisitions; nuclear decommissioning funds treatment,

This document contains final and temporary regulations relating to the allocation of purchase price in certain deemed and actual asset acquisitions under sections 338 and 1060. These regulations affect sellers and purchasers of nuclear power plants or of the stock of corporations that own nuclear power plants. The text of the temporary regulations
DEPARTMENT OF THE TREASURY : Internal Revenue Service

19. Credit for Increasing Research Activities

PROPOSED RULES: Credit for increasing research activities,

This document invites comments from the public regarding certain rules and standards relating to internaluse software under section 41(d)(4)(E) of the Internal Revenue Code. All materials submitted will be available for public inspection and copying. This document also addresses the effective date for final rules relating to internaluse software.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

20. Allocation and Apportionment of Expenses; Alternative Method for Determining Tax Book Value of Assets

PROPOSED RULES: Alternative method for determining tax book value of assets; allocation and apportionment of expenses; cross-reference,

In the Rules and Regulations section of this issue of the Federal Register, the IRS is issuing temporary regulations providing an alternative method of valuing assets for purposes of apportioning expenses under the tax book value method of Sec. 1.8619T. The alternative tax book value method, which is elective, allows taxpayers to determine, for
DEPARTMENT OF THE TREASURY : Internal Revenue Service

21. National Principal Contracts; Contingent Nonperiodic Payments; Correction

PROPOSED RULES: National principal contracts; contingent nonperiodic payments; Correction,

This document contains a correction to a correction notice for proposed regulations that were published in the Federal Register on March 23, 2004 (69 FR 13498) relating to the inclusion into income or deduction of a contingent nonperiodic payment provided for under a notional principal contract (NPC).
DEPARTMENT OF THE TREASURY : Internal Revenue Service

22. Transfers to Provide for Satisfaction of Contested Liabilities; Correction

RULES: Contested liabilities; transfers to provide for satisfaction; correction,

This document contains corrections to final regulations (TD 9140), which was published in the Federal Register on July 20, 2004 (69 FR 43302). The document contains final regulations relating to transfers of money or other property to provide for the satisfaction of contested liabilities.
DEPARTMENT OF THE TREASURY : Internal Revenue Service

23. Guidance Regarding Predecessors and Successors Under Section 355(e); Limitation on Gain Recognition Under Section

PROPOSED RULES: Predecessors and successors; section 355(e) gain recognition limitation,

This document contains proposed regulations that define the terms predecessor and successor for purposes of section 355(e). These proposed regulations provide guidance in determining whether a corporation is a predecessor or successor of a distributing or controlled corporation, as well as rules to assist taxpayers in determining whether an
DEPARTMENT OF THE TREASURY : Internal Revenue Service

24. Value of Life Insurance Contracts When Distributed From a Qualified Retirement Plan

PROPOSED RULES: Life insurance contracts value when distributed from qualified retirement plan,

This document contains proposed amendments to the regulations under section 402(a) of the Internal Revenue Code regarding the amount includible in a distributee's income when life insurance contracts are distributed by a qualified retirement plan and the treatment of property sold by a qualified retirement plan to a plan participant or beneficiary
DEPARTMENT OF THE TREASURY : Internal Revenue Service

25. At-Risk Limitations; Interest Other Than That of a Creditor

RULES: At-risk limitations; interest other than that of a creditor,

These regulations finalize the rules relating to the treatment, for purposes of the atrisk limitations, of amounts borrowed from a person who has an interest in an activity other than that of a creditor or from a person related to a person (other than the borrower) with such an interest. These regulations affect taxpayers subject to the atrisk
DEPARTMENT OF THE TREASURY : Internal Revenue Service

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