Bulletin No. 1999–41 October 12, 1999
Internal Revenue Bulletin 1999-41 · 2026-10-03 edition · updated 2026-10-04 · United States
are provided for issuers to request an administrative appeal to the Office of Appeals of a proposed adverse determination by an Employee Plans/Exempt Organizations Key District that the interest on their debt obligations (the bond issue) is not excludable from gross income under section 103 of the Code.
Announcement 99–96, page 504. A list is given of organizations now classified as private foundations.
Announcement 99–97, page 505. A list is provided of organizations that no longer qualify as organizations to which contributions are deductible under section 170 of the Code.
Actions Relating to Court Decisions is on the page following the Introduction. Finding Lists begin on page ii. Announcement of Declaratory Judgment Proceedings Under Section 7428 is on page 505.
Department of the Treasury Internal Revenue Service
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