EXEMPT ORGANIZATIONS— Cont.
Internal Revenue Bulletin 2002-22 · 2026-10-03 edition · updated 2026-10-04 · United States
Tax-exempt bonds, hospital refinancing
bonds, refunding issues (Ann 43) 16, 792 Technical advice to:
Directors and chiefs, appeals offices,
letters, areas which will not be issued from:
Associates Chief Counsel and Division
Counsel/Associate Chief Counsel (TE/GE) (RP 3) 1, 117 Associate Chief Counsel (Interna
from Associates Chief Counsel and Division Counsel/Associate Chief Counsel (TEGE) (RP 2) 1, 82 IRS employees (RP 5) 1, 173 Termination of private foundation status,
transfer of assets (RR 28) 20, 941 User fees, request for letter rulings (RP 8)
1, 252
Determination letters and information
letters issued by Associates Chief Counsel and Division Counsel/ Associate Chief Counsel (TE/GE) (RP 1) 1, 1 Information letters, etc. (RP 4) 1, 127 List of organizations classified as private
foundations (Ann 16) 7, 541 ; (Ann 25) 10, 621 ; (Ann 28) 11, 630 ; (Ann 32) 12, 664 ; (Ann 50) 18, 845 Obligations of state and local govern ments, refunding issue (REG–165706– 01) 16, 787 Political organizations, voluntary compli ance program to promote disclosure (Notice 34), 21, 990 Proposed Regulations:
26 CFR 1.150–1, amended; obligations of states and political subdivisions (REG–165706–01) 16, 787 Qualified 501(c)(3) bonds, gross proceeds
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