Introduction›HIGHLIGHTS OF THIS ISSUE—Continued
SECTION 1. PURPOSE
Internal Revenue Bulletin 1996-5 · 2026-10-03 edition · updated 2026-10-04 · United States
This revenue procedure amplifies and modifies Rev. Proc. 96–3, 1996–1 I.R.B. 82, which sets forth areas of the Internal Revenue Code under the jurisdiction of the Associate Chief Counsel (Domestic) and the Associate Chief Counsel (Employee Benefits and Ex
empt Organizations) relating to issues on which the Internal Revenue Service will not issue advance letter rulings or determination letters.
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