SECTION 5. ON WHAT ISSUES
Internal Revenue Bulletin 2001-1 · 2026-10-03 edition · updated 2026-10-04 · United States
MUST WRITTEN GUIDANCE BE REQUESTED UNDER DIFFERENT PROCEDURES?
Determination letters .01 The procedures for obtaining determination letters involving §§ 401, 403(a), 409, and 4975(e)(7), and the status for exemption of any related trusts or custodial accounts under § 501(a) are contained in Rev. Proc. 2001–6, this Bulletin.
Master and prototype plans .02 The procedures for obtaining opinion letters for master and prototype plans and any related trusts or custodial accounts under §§ 401(a), 403(a) and 501(a) are contained in Rev. Proc. 2000–20, as modified by Rev. Proc. 2000–27. The procedures for obtaining opinion letters for prototype trusts, custodial accounts or annuities under § 408(a) or (b) are contained in Rev. Proc. 87–50, as modified by Rev. Proc. 92–38. The procedures for obtaining opinion letters for prototype trusts under § 408(k) are contained in Rev. Proc. 87–50, as modified by Rev. Proc. 91–44 (as modified by Rev. Proc. 2001–8). The procedures for obtaining opinion letters for SIMPLE IRAs under § 408(p) are contained in Rev. Proc. 97–29, 1997–1 C.B. 698. The procedures for obtaining opinion letters for ROTH IRAs under § 408A are contained in Rev. Proc. 98–59, 1998–2 C.B. 727.
Closing agreement program for .03 Rev. Proc. 95–52, 1995–1 C.B. 439, restates and extends for an indefinite period the defined contribution plans that closing agreement program for defined contribution plans that purchased guaranteed purchased GICs or GACs investment contracts (GICs) or group annuity contracts (GACs) from troubled life insurance companies .
Employee Plans Compliance .04 The procedures for obtaining corrections of Qualification or § 403(b) Failures Resolution System under the Employee Plans Compliance Resolution System (EPCRS) are contained in Rev. Proc. 2000–16, 2000–6 I.R.B. 518.
Chief Counsel .05 The procedures for obtaining rulings, closing agreements, and information letters on issues within the jurisdiction of the Chief Counsel are contained in Rev. Proc. 2001–1, page 1, this Bulletin, including tax issues involving interpreting or applying the federal tax laws and income tax treaties relating to international transactions.
Alcohol, tobacco, .06 The procedures for obtaining letter rulings, etc., that apply to federal alcohol, tobacand firearms taxes co, and firearms taxes under subtitle E of the Internal Revenue Code are under the jurisdiction of the Bureau of Alcohol, Tobacco and Firearms.
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