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PART I — INCOME TAX; TAXABLE›Article 22(3) allows a Swiss company

Part IV. Items of General Interest

Internal Revenue Bulletin 2003-40 · 2026-10-03 edition · updated 2026-10-04 · United States

Notice of Proposed Rulemaking

Suspension of Running of Period of Limitations During a Proceeding to Enforce or Quash a Designated or Related Summons

REG–208199–91

AGENCY: Internal Revenue Service (IRS), Treasury.

ACTION: Notice of proposed rulemaking.

SUMMARY: This document contains proposed regulations regarding the use of designated summonses and related summonses and the effect on the period of limitations on assessment when a case is brought with respect to a designated or related summons. These proposed regulations reflect changes to section 6503 of the Internal Revenue Code of 1986 made by the Omnibus Budget Reconciliation Act of 1990 and the Small Business Job Protection Act of 1996. This regulation affects corporate taxpayers that are examined under the coordinated issue case (CIC) program and are served with designated or related summonses. This regulation also affects third parties that are served with designated or related summonses for information pertaining to the corporate examination.

DATES: Written or electronic comments and requests for a public hearing must be received by November 29, 2003.

ADDRESSES: Send submissions to: CC:PA:RU (REG–208199–91), room 5203, Internal Revenue Service, POB 7604, Ben Franklin Station, Washington, DC 20044. Submissions may be hand delivered between the hours of 8 a.m. and 4 p.m. to: CC:PA:RU (REG–208199–91), Courier’s Desk, Internal Revenue Service, 1111 Constitution Avenue, NW, Washington, DC. Taxpayers may also submit electronic comments directly to the IRS Internet site at www.irs.gov/regs .

FOR FURTHER INFORMATION CONTACT: Elizabeth Rawlins, (202) 622–3630 (not a toll-free number).

SUPPLEMENTARY INFORMATION:

Background

This document contains proposed regulations amending the Procedure and Administration Regulations (26 CFR part 301) under section 6503 of the Internal Revenue Code of 1986. Section 11311 of the Omnibus Budget Reconciliation Act of 1990 (Public Law 101–508, 104 Stat. 1388) (1990 Act) amended section 6503(k) to suspend the period of limitations on assessment when a case is brought with respect to a designated or related summons. Section 6503(k) was redesignated as section 6503(j) by section 1702(h)(17)(A) of the Small Business Job Protection Act of 1996 (Public Law 104–188, 110 Stat. 1874).

Explanation of Provisions

These proposed regulations generally provide that the period of limitations on assessment provided for in section 6501 is suspended with respect to any return of tax by a corporation that is the subject of a designated or related summons if a court proceeding to enforce or quash is instituted with respect to that summons.

Designated Summonses and Related Summonses

A designated summons is a summons issued to determine the amount of any internal revenue tax of a corporation for which a return was filed if certain additional requirements are satisfied. A designated summons may only be issued to a corporation (or any other person to whom such corporation has transferred records) if the corporation is being examined under the IRS’ coordinated examination program “or any successor program.” The existing successor program to the coordinated examination program is the coordinated issue case (CIC) program.

Section 6503(j)(2)(A)(i) requires that the issuance of the summons be preceded by a review by the regional counsel of the Office of Chief Counsel for the region in which the examination of the corporation is being conducted. Because the prior regional structure of the IRS no longer exists, these proposed regulations provide that the

review must be completed by the Division Commissioner and the Division Counsel of the Office of Chief Counsel for the organizations that have jurisdiction over the corporation whose liability is the subject of the summons. The summons also must be issued at least 60 days before the day on which the statute of limitations on assessment under section 6501 would otherwise expire. Finally, the summons must clearly state that it is a designated summons for purposes of section 6503(j).

A related summons is any other summons that is issued with respect to the same tax return of the corporation as a designated summons and is issued during the 30-day period that begins on the date the designated summons is issued.

Suspension of Period of Limitations on Assessment

Section 6503(j)(1) suspends the period of limitations on assessment under section 6501 for the applicable tax period when a court proceeding is brought with respect to a designated or related summons. For purposes of these proposed regulations, a court proceeding is a proceeding brought in a United States district court either to quash a designated or related summons under section 7609(b)(2) or to enforce a designated or related summons under section 7604. The court proceeding must be brought within the otherwise applicable period of limitations in order to suspend that period under section 6503(j).

The proposed regulations provide that the suspension begins on the day that a court proceeding is brought and continues until there is a final resolution as to the summoned party’s response to the summons (discussed in the next section), plus an additional 120 days if the court requires any compliance with the summons at issue. If the court does not require any compliance, then the period of limitations on assessment resumes running on the day following the date of the final resolution and in no event shall expire before the 60th day following the date of final resolution.

Final Resolution of a Summoned Party’s Response to a Summons

Under section 6503(j)(3)(B), the length of the suspension under section 6503(j)

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agreement that production will be accomplished in stages) or before the IRS has responded to a previously-submitted statement of compliance. A statement of compliance also will be treated as a nullity if it is submitted by the summoned party while a referral to the Department of Justice for a collateral proceeding with respect to the court order or an appeal of the court order is pending.

Unless the IRS, within 180 days of the receipt of a statement of compliance, or within the time agreed to by the IRS and the summoned party, mails to the summoned party by registered or certified mail notification that it has not fully satisfied the designated or related summons, the summons will be treated as having been fully complied with as of the 180th day following the date the IRS received the statement. The date on which the statement of compliance was mailed by registered or certified mail will be treated as the date on which the IRS received the statement.

Other Rules

These proposed regulations provide additional rules regarding the number of designated and related summonses that may be issued with respect to a return for any taxable period, the time within which a court proceeding must be brought to enforce or quash a designated or related summons, the computation of the suspension period in cases of multiple court proceedings, and the computation of the 60-day period for assessment when the last day falls on a weekend or holiday.

The proposed regulations also address the relationship of the suspension period provided for in section 6503(j) with other suspension provisions in the Code. The proposed regulations first provide that if a designated or related summons also could be subject to the suspension rules governing third-party summonses under section 7609(e), then the suspension rules in section 6503(j) govern. In addition, the section 6503(j) suspension period is independent of, and may run concurrently with, any other period of suspension, such as the suspension period for third-party summonses under section 7609(e) if a separate third-party summons also was issued in a case. Examples of these rules are contained in the proposed regulations.

depends on when “final resolution” of a summoned party’s response to the designated or related summons occurs. The term “final resolution” is not defined in the statute. The legislative history to the 1990 Act states that the term “final resolution” has the same meaning it has under section 7609(e)(2)(B), relating to third-party summonses. H.R. Conf. Rep. No. 101–964 (1990). Specifically, the conference report to the 1990 Act states that final resolution means that no court proceeding remains pending and that the summoned party has complied with the summons to the extent required by the court.

Accordingly, the proposed regulations provide that final resolution occurs when the summoned party complies with a summons to the extent required by the court and all court proceedings and times for appeals applicable to those proceedings have terminated. If the summoned party has complied with the summons to the extent required by a court but there still remains time to appeal that order, final resolution occurs when the time for appeal has expired. (Were final resolution deemed to occur before that point, the period of limitations on assessment might resume running even though a later order after appeal might require additional compliance.) If all appeal periods have expired but the summoned party has not complied with the summons to the extent required by the court order, the proposed regulations provide that final resolution does not occur until the summoned party has complied with the summons to the extent required by the court order.

Whether a party has complied with the terms of the summons as enforced by the court cannot be determined until the completeness of the materials produced and the testimony given have been evaluated. In cases where the court wholly denies enforcement or orders that the summons in its entirety be quashed, the date of compliance with the court’s order is treated as occurring on the date when all appeals are disposed of or when all appeal periods expire.

In cases where the court orders the summons enforced in whole or in part, the determination of whether the summoned party has complied with the order will be made by the Commissioner or his delegate (Commissioner). This determination

will be made as soon as practicable after the summoned party has given testimony or produced books, papers, records, or other data as required by the court order. Notification of a favorable determination, and the date of such determination, will be made in writing and sent to the summoned party (and the taxpayer if the taxpayer is not the summoned party) within five days after the date the determination is made. If the period to appeal the court’s order has already run, the date of the favorable determination shall be the date of final resolution for purposes of determining the length of the suspension under section 6503(j).

The proposed regulations provide that the Commissioner is not required to give notice that the court’s order has not been complied with prior to instituting a collateral proceeding challenging whether the testimony given or the production made by the summoned party fully satisfies the court order and requesting that sanctions be imposed against the summoned party for a failure to testify or produce. The proposed regulations further provide that if such a collateral proceeding is instituted, then the collateral proceeding shall be treated as a continuation of the original proceeding.

Statement of Compliance

A summoned party also may request a determination from the IRS that it has fully complied with a designated or related summons to the extent required by court order. Under this procedure, if the summoned party believes that it has complied, the summoned party may submit a written statement (statement of compliance) to the IRS that the summoned party has fully complied with the court order. The statement of compliance must be properly addressed and sent by registered or certified mail. The statement of compliance must contain the summoned party’s current contact information and information specifically identifying the applicable summons and court order.

To prevent the filing of premature or repetitious statements of compliance, the proposed regulations provide that a statement of compliance will be disregarded as a nullity if it is submitted before production or the giving of testimony (or the last act of production when there is a mutual

October 6, 2003 757 2003-40 I.R.B.

Counsel (or their successors) for the organizations that have jurisdiction over the corporation whose tax liability is the subject of the summons have reviewed the summons before it is issued;

(ii) If the IRS issues the summons at least 60 days before the day the period prescribed in section 6501 for the assessment of tax expires (determined with regard to extensions); and

(iii) If the summons states that it is a designated summons for purposes of section 6503(j).

(2) Related summons . A related summons is any summons issued that—

(i) Relates to the same return of the corporation under examination as the designated summons; and

(ii) Is issued to any person, including the person to whom the designated summons was issued, during the 30-day period that begins on the day the designated summons is issued.

(3) Judicial enforcement period . The judicial enforcement period is the period that begins on the day on which a court proceeding is instituted with respect to a designated or related summons and ends on the day on which there is a final resolution as to the summoned person’s response to that summons.

(4) Court proceeding —(i) In general . For purposes of this section, a court proceeding is a proceeding filed in a United States district court either to quash a designated or related summons under section 7609(b)(2) or to enforce a designated or related summons under section 7604 and includes any collateral proceeding to that proceeding such as a civil contempt proceeding.

(ii) Date when proceeding is no longer pending . A proceeding to quash or to enforce a designated or related summons is no longer pending when all appeals are resolved, or after the expiration of the period in which an appeal may be taken or a request for further review may be made. If, however, following an enforcement order, a collateral proceeding is brought challenging whether the testimony given or production made by the summoned party fully satisfied the court order and whether sanctions should be imposed against the summoned party for a failure to so testify or produce, the proceeding to quash or to enforce the summons shall include the time from which the proceeding to quash

Proposed Effective Date

These regulations are proposed to be applicable on the date final regulations are published in the Federal Register .

Special Analyses

It has been determined that this notice of proposed rulemaking is not a significant regulatory action as defined in Executive Order 12866. Therefore, a regulatory assessment is not required. It also has been determined that section 553(b) of the Administrative Procedure Act (5 U.S.C. chapter 5) and the Regulatory Flexibility Act (5 U.S.C. chapter 6) do not apply to these regulations, and, therefore, a Regulatory Flexibility Analysis is not required. Pursuant to section 7805(f) of the Code, this notice of proposed rulemaking will be submitted to the Chief Counsel for Advocacy of the Small Business Administration for comment on its impact on small business.

Comments and Requests for a Public Hearing

Before these proposed regulations are adopted as final regulations, consideration will be given to any written comments (a signed original and eight (8) copies) or electronic comments that are submitted timely to the IRS. The IRS and the Treasury Department request comments on the clarity of the proposed rules and how they can be made easier to understand. All comments will be available for public inspection and copying. A public hearing may be scheduled if requested in writing by a person who timely submits written comments. If a public hearing is scheduled, notice of the date, time, and place for the hearing will be published in the Fed- eral Register .

Drafting Information

The principal author of these regulations is Elizabeth Rawlins of the Office of the Associate Chief Counsel, Procedure and Administration (Collection, Bankruptcy and Summonses Division), IRS. However, other personnel from the IRS and the Treasury Department participated in their development.

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Proposed Amendments to the Regulations

Accordingly, 26 CFR part 301 is proposed to be amended as follows:

PART 301—PROCEDURE AND ADMINISTRATION

Paragraph 1. The authority citation for part 301 continues to read in part as follows:

Authority: 26 U.S.C. 7805 * * * Par. 2. Section 301.6503(j)–1 is added to read as follows:

§301.6503(j)–1 Suspension of running of period of limitations; extension in case of designated and related summonses.

(a) General rule . The running of the applicable period of limitations on assessment provided for in section 6501 is suspended with respect to any return of tax by a corporation that is the subject of a designated or related summons if a court proceeding is instituted with respect to that summons.

(b) Period of suspension . The period of suspension is the time during which the running of the applicable period of limitations on assessment provided for in section 6501 is suspended under section 6503(j). If the court requires any compliance with a designated or related summons by ordering that any record, document, paper, object, or items be produced, or the testimony of any person be given, the period of suspension consists of the judicial enforcement period plus 120 days. If the court does not require any compliance with a designated or related summons, the period of suspension consists of the judicial enforcement period, and the period of limitations on assessment provided in section 6501 shall not expire before the 60th day after the judicial enforcement period.

(c) Definitions —(1) Designated sum- mons . A designated summons is a summons issued to a corporation (or to any other person to whom the corporation has transferred records) with respect to any return of tax by such corporation for a taxable period for which such corporation is being examined under the coordinated industry case program or any other successor to the coordinated examination program–

(i) If the Division Commissioner and the Division Counsel of the Office of Chief

2003-40 I.R.B. 758 October 6, 2003

or to enforce the summons was brought until the decision in the collateral proceeding becomes final. The decision becomes final on the date when all appeals are disposed of or when the period in which an appeal may be taken or a request for further review may be made expires. Any collateral proceeding to the original proceeding shall be considered to be a continuation of the original proceeding.

(5) Compliance —(i) In general . Compliance is the giving of testimony or the performance of an act or acts of production, or both, in response to a court order concerning the designated or related summons and the determination that the terms of the court order have been satisfied.

(ii) Date compliance occurs . Compliance with a court order that wholly denies enforcement of a designated or related summons is deemed to occur on the date when all appeals are disposed of or when the period in which an appeal may be taken or a request for further review may be made expires. Compliance with a court order that grants enforcement, in whole or in part, of a designated or related summons, occurs on the date the Commissioner or his delegate (Commissioner) determines that the testimony given, or the books, papers, records, or other data produced, or both, by the summoned party fully satisfy the court order concerning the summons. The determination whether there has been compliance will be made as soon as practicable after the testimony is given or the materials are produced.

(6) Final resolution . Final resolution means that compliance with a court order concerning the designated or related summons has occurred and that court proceedings are no longer pending.

(d) Special rules —(1) Number of summonses that may be issued —(i) Des- ignated summons . Only one designated summons may be issued in connection with the examination of a specific taxable year or other period of a corporation. A designated summons may cover more than one year or other period of a corporation. The designated summons may seek information that was previously sought in a summons (other than a designated summons) that was issued in the course of the examination of that particular corporation.

(ii) Related summonses . There is no restriction on the number of related summonses that may be issued in connection

with the examination of a corporation. As provided in paragraph (c)(2) of this section, however, a related summons must be issued within the 30-day period that begins on the date on which the designated summons to which it relates is issued and must relate to the same return as the designated summons. A related summons may request the same information as the designated summons.

(2) Time within which court proceed- ings must be brought . In order for the period of limitations on assessment to be suspended under section 6503(j), a court proceeding to enforce or to quash a designated or related summons must be instituted within the period of limitations on assessment provided in section 6501 otherwise applicable to that tax return.

(3) Computation of suspension period if multiple court proceedings are instituted . If multiple court proceedings are instituted to enforce or to quash a designated or one or more related summonses concerning the same tax return, the period of limitations on assessment is suspended for the entire period beginning on the day the first court proceeding is brought and ending on the last day of the last-ending suspension period resulting from the court proceedings that were brought.

(4) Effect on other suspension pe- riods —(i) In general . The periods of suspension on the running of the period of limitations under section 6501 provided for under sections 7609(e)(1) and (2) are not applicable with respect to any summons that is issued pursuant to section 6503(j). The suspension under section 6503(j) on the running of the period of limitations on assessment under section 6501 is independent of, and may run concurrent with, any other period of suspension of the period of limitations on assessment applicable to the tax return to which the designated or related summons relates.

(ii) Examples . The rules of paragraph (d)(4)(i) of this section are illustrated by the following examples:

Example 1 . The period of limitations on assessment against Corporation P for its calendar 1997 return is scheduled to end on March 15, 2001. On January 3, 2001, a designated summons is issued to Corporation P concerning its 1997 return. On March 1, 2001 (14 days before the period of limitations on assessment would otherwise expire with respect Corporation P’s 1997 tax return), a court proceeding is brought to enforce the designated summons issued

to Corporation P. On June 5, 2001, the court orders Corporation P to comply with the designated summons. Corporation P does not appeal the court’s order. On September 3, 2001, agents for Corporation P deliver material that they state are the records requested by the designated summons. On October 15, 2001, a final resolution to Corporation P’s response to the designated summons occurs when the Commissioner determines that Corporation P has fully complied with the court’s order. The suspension period applicable with respect to the designated summons issued to Corporation P consists of the judicial enforcement period (March 1, 2001, through October 15, 2001) and an additional 120-day period under section 6503(j)(1)(B), because the court required Corporation P to comply with the designated summons. Thus, the suspension period applicable with respect to the designated summons issued to Corporation P would begin on March 1, 2001, and end on February 12, 2002. Under the facts of this example, the period of limitations on assessment against Corporation P would be extended to February 26, 2002, to account for the additional 14 days that remained on the period of limitations on assessment under section 6501 when the suspension period under section 6503(j) began.

Example 2 . Assume the same facts set forth in Example 1 . On April 3, 2001, a summons concerning Corporation P’s calendar 1997 return is issued and served on individual A, a third party. This summons is not a related summons because it was not issued during the 30-day period that began on the date the designated summons was issued. The third-party summons served on individual A is subject to the notice requirements of section 7609(a). If there is no final resolution of individual A’s response to this summons by October 3, 2001, i.e., six months from the date of service of the summons, the period of limitations on assessment against Corporation P would be suspended under section 7609(e)(2) to the date on which there is a final resolution to that response for the purposes of section 7609(e)(2). If a final resolution to the summons served on individual A occurs after February 12, 2002, the end of the suspension period for the designated summons, the period of limitations on assessment against Corporation P expires 14 days after the date that the final resolution as provided for in section 7609(e)(2) occurs with respect to the summons served on individual A.

(5) Computation of 60-day period when last day of assessment period falls on a weekend or holiday . For purposes of paragraph (c)(1)(ii) of this section, in determining whether a designated summons has been issued at least 60 days before the date on which the period of limitations on assessment prescribed in section 6501 expires, the provisions of section 7503 apply when the last day of the assessment period falls on a Saturday, Sunday, or legal holiday.

(6) Determination of compliance with designated and related summonses if a court proceeding has been instituted —(i) In general . The Commissioner will determine, in an expeditious manner, whether

October 6, 2003 759 2003-40 I.R.B.

in paragraph (d)(7)(iii)(A) of this section, or such longer period as agreed to in writing by the summoned party, then the court order with respect to which the summoned party submitted a statement of compliance shall be deemed complied with as of the expiration of 180 days or such longer period.

(v) Limitations . The Commissioner may treat as a nullity and return to the summoned party without action, as described in paragraph (d)(7)(iii) of this section, a statement of compliance that is filed in the following circumstances—

(A) Before the summoned party has provided testimony, or books, papers, records, or other data, or both in response to the court order (or before the last act of production in the case of production that is accomplished in stages pursuant to a mutual agreement);

(B) Before the Commissioner has issued a determination pursuant to paragraph (d)(7)(iii) of this section with respect to a previously-tendered statement of compliance or before the expiration of 180 days from the date such statement of compliance was received by the Commissioner, whichever is earlier; or

(C) While a referral to the Department of Justice for a collateral proceeding with respect to the court order or an appeal of that order is pending.

(e) Effective date . This section is applicable on the date final regulations are published in the Federal Register .

Robert E. Wenzel, Deputy Commissioner of

Internal Revenue .

(Filed by the Office of the Federal Register on July 30, 2003, 8:45 a.m., and published in the issue of the Federal Register for July 31, 2003, 68 F.R. 44905)

Notice of Proposed Rulemaking by Cross-Reference to Temporary Regulations

Reduction of Tax Attributes Due to Discharge of Indebtedness

REG–113112–03

AGENCY: Internal Revenue Service (IRS), Treasury.

a summoned party has fully complied with any court order if the designated or related summons is the subject of a court proceeding to quash or to enforce. The determination will be made as soon as practicable after the later of—

(A) The giving of any testimony required to be given by a summoned party; or

(B) The act of production (or the last act of production in the case of production that is accomplished in parts or in stages pursuant to a mutual agreement between the summoned party and the Commissioner) by the summoned party.

(ii) Procedure for a favorable determi- nation . If the Commissioner determines that the summoned party has fully complied with the court order, the Commissioner will mail notice of that determination within 5 business days after the date of the determination, which will be sent by certified or registered mail, to the summoned party and the taxpayer under examination (if the taxpayer is not the summoned party).

(iii) Notification of favorable determi- nation . The written notification that the summoned party has fully complied with the court order will contain the following information—

(A) The name and address of the summoned party;

(B) The name, address, type of tax, and taxable period of the taxpayer corporation with respect to which testimony or records, or both, were sought by the summons; and

(C) The date on which the Commissioner made the determination that the summoned party fully complied with court order.

(iv) Effective date of favorable deter- mination . The Commissioner’s determination that the summoned party has fully complied with the court order will be effective on the date the determination is stated to have been made in the written notification sent to the summoned party.

(7) Statement of compliance with a court order —(i) In general . In the case of a court order to which paragraph (d)(6)(i) of this section applies, the summoned party may submit a statement in writing that the summoned party has fully complied with the court order to the office identified on the summons (marked for the attention of the Internal Revenue Service

employee who issued the summons to which the order relates).

(ii) Form . The statement of compliance shall be sent by registered or certified mail and shall include—

(A) The name, current address, current home and work telephone numbers of the person making the statement and any convenient times that person can be contacted;

(B) A specific identification of the court order with which compliance has been achieved and the summons to which the order relates; and

(C) The signature of the summoned party or the duly authorized representative.

(iii) Response . (A) As soon as practicable after receipt of such a statement of compliance, but in no event later than 180 days after such receipt, the Commissioner will mail a response to the summoned party (and a copy of the response to the taxpayer, if the summoned party is not the taxpayer) by registered or certified mail. The date on which the summoned person mails the statement of compliance shall be deemed to be the date on which the Commissioner receives it. The Commissioner’s response will notify the summoned party—

( 1 ) That a determination of compliance with the court order has been made and the date of that determination; or

( 2 ) That a determination of noncompliance has been made and the date of that determination.

(B) The Commissioner is not required to give notice that the court order has not been complied with prior to instituting a collateral proceeding challenging whether the testimony given or the production made by the summoned party fully satisfies the court order and requesting that sanctions be imposed against the summoned party for a failure to comply with the order. The institution of a collateral proceeding shall constitute notice of a determination of noncompliance.

(C) The summoned party may, in writing, grant the Commissioner additional time within which to notify it regarding compliance or noncompliance with the summons.

(iv) Failure to respond within 180 days . If the Commissioner fails to respond to a properly submitted statement of compliance within the 180-day period, described

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Par. 2. Section 1.108–7 is added to read as follows:

§1.108–7 Reduction of attributes.

[The text of the proposed §1.108–7 is the same as the text for §1.108–7T published elsewhere in this issue of the Bulletin].

Par. 3. Section 1.1017–1 is amended by adding paragraph (b)(4) to read as follows:

§1.1017–1 Basis reductions following a discharge of indebtedness.

        • (b) - * (4) [The text of the proposed §1.1017–1(b)(4) is the same as the text for §1.1017–1T(b)(4) published elsewhere in this issue of the Bulletin].

Robert E. Wenzel, Deputy Commissioner for Services and Enforcement .

(Filed by the Office of the Federal Register on July 17, 2003, 8:45 a.m., and published in the issue of the Federal Register for July 18, 2003, 68 F.R. 42652)

List of Nonbank Trustees and Custodians

Announcement 2003–54

The following is a list of entities that have been approved by the Commissioner of the Internal Revenue Service, pursuant to § 1.408–2(e) of the Income Tax Regulations, to serve as a nonbank trustee or custodian. This list updates and supercedes the list published with Announcement 2002–12, 2002–1 C.B. 553.

Archer medical savings accounts (Archer MSAs) established under § 220 of the Internal Revenue Code, custodial accounts of a pension plan qualified under § 401, custodial accounts described in § 403(b)(7), trust or custodial accounts of individual retirement accounts (IRAs) established under §§ 408(a), 408A (Roth IRAs), or 530 (Coverdell Education Savings Accounts), and custodial accounts of eligible deferred compensation plans described in § 457(b) will not be tax exempt if the trustee or custodian of such accounts is not a bank (as defined in § 408(n)) (and in the case of Archer MSAs a bank within

ACTION: Notice of proposed rulemaking by cross-reference to temporary regulations.

SUMMARY: In this issue of the Bulletin, the IRS is issuing temporary regulations (T.D. 9080) relating to the reduction of tax attributes under sections 108 and 1017 of the Internal Revenue Code. The temporary regulations affect taxpayers that exclude discharge of indebtedness income from gross income under section 108. The text of those regulations also serves as the text of these proposed regulations.

DATES: Written or electronic comments must be received by October 16, 2003.

ADDRESSES: Send submissions to: CC:PA:RU (REG–113112–03), room 5226, Internal Revenue Service, POB 7604, Ben Franklin Station, Washington, DC 20044. Submissions may be hand delivered between the hours of 8 a.m. and 4 p.m. to CC:PA:RU (REG–113112–03), Courier’s Desk, Internal Revenue Service, 1111 Constitution Avenue, NW, Washington, DC or sent electronically, via the IRS Internet site at: www.irs.gov/regs .

FOR FURTHER INFORMATION CONTACT: Theresa M. Kolish (202–622–7930) of the Office of the Associate Chief Counsel (Corporate) (not a toll-free number).

SUPPLEMENTARY INFORMATION:

Background and Explanation of Provisions

Temporary regulations in this issue of the Bulletin amend the Income Tax Regulations (26 CFR part 1) relating to sections 108 and 1017. The temporary regulations will affect taxpayers that exclude discharge of indebtedness income from gross income under section 108. The text of those temporary regulations also serves as the text of these proposed regulations. The preamble to the temporary regulations explains the amendments.

Special Analyses

It has been determined that this notice of proposed rulemaking is not a significant regulatory action as defined in Executive Order 12866. Therefore, a regulatory assessment is not required. It has

also been determined that section 553(b) of the Administrative Procedures Act (5 U.S.C. chapter 5) does not apply to these regulations, and, because the regulations do not impose a collection of information on small entities, the Regulatory Flexibility Act (5 U.S.C. chapter 6) does not apply. Pursuant to section 7805(f) of the Internal Revenue Code, this notice of proposed rulemaking will be submitted to the Chief Counsel for Advocacy of the Small Business Administration for comment on its impact on small business.

Comments and Requests for Public Hearing

Before these proposed regulations are adopted as final regulations, consideration will be given to any written (a signed original and 8 copies) or electronic comments that are submitted timely to the IRS. The IRS and Treasury Department request comments on the clarity of the proposed rules and how they can be made easier to understand. All comments will be available for public inspection and copying. A public hearing will be scheduled if requested in writing by any person that timely submits written comments. If a public hearing is scheduled, notice of the date, time, and place for the public hearing will be published in the Federal Register .

Drafting Information

The principal author of these regulations is Theresa M. Kolish, Office of Associate Chief Counsel (Corporate). However, other personnel from the IRS and Treasury Department participated in their development.

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Proposed Amendments to the Regulations

Accordingly, 26 CFR part 1 is proposed to be amended as follows:

PART 1—INCOME TAXES

Paragraph 1. The authority citation for part 1 is amended by adding the following entry in numerical order to read as follows:

Authority: 26 U.S.C. 7805 * * * Section 1.108–7 also issued under 26 U.S.C. 108. - * *

October 6, 2003 761 2003-40 I.R.B.

names, addresses, and the date each application was approved.

If an approved nonbank trustee or custodian believes that the information about it is incorrect, incomplete, or that it has been incorrectly omitted from this list, it may, on or before December 5, 2003, which is 60 days from the date of the publication of this list in the Internal Revenue Bulletin, notify the Service in writing of any changes it proposes to the list. This notification should include a copy of the approval letter.

The notification should be addressed to:

Internal Revenue Service SE:T:EP:RA:T1 Announcement 2003–54 1111 Constitution Ave., NW Washington, DC 20224

Drafting Information

The principal author of this announcement is Calvin Thompson of the Employee Plans, Tax Exempt and Government Entities Division. Please contact Mr. Thompson at 1–202–283–9596 (not a toll-free number), if there are any questions regarding the publication of this list. Written inquiries concerning this announcement should be addressed to the Internal Revenue Service at the above address.

the meaning of § 408(n) or an insurance company within the meaning of § 816) or an approved nonbank trustee or custodian.

An entity that is not a bank, as defined in § 408(n), must receive approval from the Service to serve as a nonbank trustee or nonbank custodian. A prospective nonbank trustee or custodian must file a written application with the Commissioner of Internal Revenue demonstrating that the requirements of § 1.408–2(e)(2) through § 1.408–2(e)(7) of the regulations will be met. If the application is approved, a written notice of approval will be issued to the applicant. The notice of approval will state the day on which it becomes effective, and (except as otherwise provided therein) will remain effective until revoked by the Service or withdrawn by the applicant. Entities that have received such approval from the Service may also sponsor certain retirement plans, custodial accounts under § 403(b)(7) of the Code and individual retirement arrangements established under § 408. (See Rev. Proc. 2000–20, 2000–1 C.B. 553, and Rev. Proc. 87–50, 1987–2 C.B. 647, as modified.)

A prospective nonbank trustee or custodian may not accept any fiduciary account before such notice of approval becomes effective. In addition, a nonbank trustee or custodian may not accept a fiduciary account until after the plan administrator or the person for whose benefit the account is to be established is furnished with a copy of the written notice of approval issued to the applicant.

The continued reliance on a notice of approval is dependent upon the continued

satisfaction of the nonbank trustee requirements set forth in the regulations. The notice of approval issued to an applicant will be revoked if the Commissioner determines that the applicant is unwilling or unable to administer fiduciary accounts in a manner consistent with the requirements of the regulations. Generally, the notice will not be revoked unless the Commissioner determines that the applicant has knowingly, willfully, or repeatedly failed to administer fiduciary accounts in a manner consistent with the requirements of the regulations, or has administered a fiduciary account in a grossly negligent manner.

The written notice of approval to serve as a nonbank trustee or nonbank custodian is not an endorsement of any investment made with respect to any retirement plan or arrangement handled by the approved nonbank trustee or custodian. The Internal Revenue Service does not review or approve investments.

If the trustee or custodian of an account described above is not a bank or an approved nonbank trustee or nonbank custodian, the amounts held in such account (including earned interest) will be deemed distributed and includible in gross income in the year(s) the account’s trustee or custodian was not a bank or an approved nonbank trustee or nonbank custodian. Contributions made to such account are not deductible from gross income and will be disallowed if claimed on an income tax return.

This list of approved nonbank trustees and nonbank custodians includes their

2003-40 I.R.B. 762 October 6, 2003

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
1.
A.B. Culbertson & Co.
1250 Continental Plaza
Fort Worth, TX 76102
May 15, 1984
2.
A.G. Becker & Co.
Chicago, IL December 12, 1979
3.
A.G. Edwards & Sons, Inc.
One North Jefferson
St. Louis, MO 63103
November 26, 1980
4.
ABN AMRO Securities LLC
55 East 52nd Street
New York, NY 10022
September 7, 2000
5.
Adler, Coleman Clearing Corp.
20 Broad St.
New York, NY 10005
April 7, 1987
6.
Advanced Clearing, Inc.
4211 South 102nd Street
Omaha, NE 68127-1031
April 18, 1984
7.
Advest, Inc.
280 Trumbull Street
Hartford, CT 06103
January 24, 1989
8.
Aisel & Co.
20 Broad Street
New York, NY 10005
April 26, 1991
9.
American Brokerage Services, Inc.
131 Lafayette Ave.
Detroit, MI 48226
September 18, 1991
10.
American Capital Marketing, Inc.
(FKA American General Capital)
2777 Allen Parkway
Houston, TX 77215
June 25, 1984
11.
American Express Financial Corp.
IDS Tower 10
Minneapolis, MN 55440
August 12, 1977
12.
American Heritage Life Ins. Co.
76 South Laura Street
Jacksonville, FL 32202
December 11, 1984
13.
American Transtech, Inc.
8000 Baymeadows Way
Jacksonville, FL 32256
August 15, 1990
14.
Analytic Investment Management, Inc.
2222 Martin Street, Suite 230
Irvine, CA 92715-1454
May 9, 1989
15.
Aspen Partnership
1895 Claremont Road
Hoffman Estates, IL 60195
October 25, 1990
16.
B.C. Ziegler & Co.
215 North Main Street
West Bend, WI 53095
September 27, 1985
17.
Banc One Capital Corporation
P.O. Box 18277
90 North High Street
Columbus, OH 43218
February 24, 1992
18.
Bank Hapoulim B.M.
6501 Wilshire Blvd.
Los Angeles, CA 90048
May 15, 1986
19.
Bank Julius Baer & Co., LTD
330 Madison Avenue
New York, NY 10017
December 15, 1988
20.
Bank Leumi Le - Israel B.N. Western
Hemisphere Regional Mgt.
242 Fifth Avenue
New York, NY 10022
February 10, 1982
21.
Bartlett & Co.
36 East Fourth Street
Cincinnati, OH 45202
February 1, 1989
22.
Bear, Stearns & Co., Inc.
5 Hanover Square
New York, NY 10004
June 2, 1986

October 6, 2003 763 2003-40 I.R.B.

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
23.
Bear, Sterns, Securities Corp.
2 Broadway, 12th Floor
New York, NY 10004
June 24, 1991
24.
Berklee College of Music, Inc.
1140 Boylston Street
Boston, MA 02110
May 9, 1989
25.
Blunt Ellis & Loewi, Inc.
225 East Mason Street
Milwaukee, WI 53202
January 25, 1982
26.
BNY Clearing Services, LLC (FKA
Kemper Clearing)
111 East Kilbourn
Milwaukee, WI 53202
August 21, 1989
27.
Boettcher & Company, Inc.
828 Seventeenth Street
Denver, CO 80201
August 10, 1987
28.
Brown & Company Securities
Corporation
20 Winthrop Square
Boston, MA 02110
February 27, 1985
29.
Bruns, Nordeman, Rea & Co.
New York, NY October 31, 1977
30.
Burke, Christensen & Lewis Securities,
Inc.
120 S. La Salle Street, Suite 940
Chicago, IL 60603
March 11, 1986
31.
Burton J. Vincent, Chesley & Co.
105 West Adams St.
Chicago, IL 60603
March 25, 1982
32.
Butler Wick & Co., Inc.
City Center One Bldg.
Youngstown, OH 44501
October 8, 1992
33.
BUYandHold Securities Corporation
110 Wall Street
New York, NY 10005
October 5, 2000
34.
Carolina Securities Corp.
239 Fayetteville St.
Raleigh, NC 27602
August 29, 1983
35.
Chapin, Davis & Company, Inc.
3 Village Square, Cross Keys
Baltimore, MD 21210
December 7, 1983
36.
Charles Schwab & Co., Inc.
101 Montgomery Street
San Francisco, CA 94104
January 8, 1982
37.
Christian & Missionary Alliance
P.O. Box C
Nyack, NY 10960
August 15, 1985
38.
CIBC World Markets Corporation
200 Liberty Street
New York, NY 10281
July 26, 1977
39.
City Securities Corp.
135 North Pennsylvania Street
Indianapolis, IN 46204
December 21, 1982
40.
Commerce First Thrift
Midvale, UT 84047 May 25, 1978
41.
Comprehensive Investment, Inc.
One Moody Plaza
Galveston, TX 77550
June 16, 2000
42.
Continental Trust Co.
17110 Dallas Parkway, Suite 200
Dallas, TX 75248
February 22, 1977
43.
D. A. Davidson & Co.
Davidson Building
#8 Third Street North
Great Falls, MT 59403
June 11, 1982
44.
D.J. St. Germain, Inc.
1500 Main Street
Springfield, MA 01115
January 1, 1977

2003-40 I.R.B. 764 October 6, 2003

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
45.
Davenport & Co. of Virginia, Inc.
901 E. Cary Street
Richmond, VA 23219
February 2, 1987
46.
Davenport & Company LLC
901 East Cary Street
Richmond, VA 23219
March 31, 1997
47.
Deutsche Bank Securities Corp. d.b.a.
C.J. Lawrence Deutsche
1290 Avenue of the Americas
New York, NY 10104
March 14, 1980
48.
Deutsche Bank Securities, Inc.
1 South Street
Baltimore, MD 21203
April 11, 1994
49.
Donaldson, Lufkin & Jenrette Securities
Corp.
140 Broadway
New York, NY 10005
December 4, 1985
50.
Dougherty, Dawkins, Strand & Yost,
Inc.
100 South Fifth Street, Suite 2300
Minneapolis, MN 55402
February 22, 1986
51.
Dresdner Kleinwort Wasserstein
Securities LLC
75 Wall Street
New York, NY 10005
October 9, 2002
52.
Dreyfus Investment Services, Corp.
Two Mellon Bank Center
Pittsburgh, PA 15259
May 18, 1989
53.
Duncan-Williams, Inc.
5860 Ridgeway Center Parkway
Memphis, TN 38120
December 13, 1995
54.
E*Trade Clearing LLC
10951 White Rock Road
Rancho Cardova, CA 95670
September 3, 2002
55.
E*Trade Securities LLC
4500 Bohannon Drive
Menlo Park, CA 94025
August 30, 2002
56.
E*Trade Securities, Inc.
480 California Avenue
Palo Alto, CA 94306
February 1, 1996
57.
Eads Generoe Trust
St. Louis, MO February 3, 1977
58.
Edward D. Jones & Co.
201 Progress Parkway
Maryland Height, MO 63043
May 30, 1985
59.
El Paso Electric Co.
P.O. Box 982
El Paso, TX 79960
June 15, 1983
60.
Elan Investment Services, Inc.
777 E. Wisconsin Ave.
Milwaukee, WI 53282
December 21, 1987
61.
Emmett A. Larkin Co., Inc.
100 Bush Street
San Francisco, CA 94104
April 17, 1986
62.
Eppler, Guerin & Turner, Inc.
2001 Bryan Tower, Suite 2300
Dallas, TX 75201
September 6, 1984
63.
EVEREN Securities, Inc.
77 West Wacker Drive
Chicago, IL 60601-1694
November 19, 1998
64.
Fahnestock & Co., Inc. (formerly
Edward A. Viner & Co.)
110 Wall Street
New York, NY 10005
April 15, 1982
65.
Fechtor, Detwiler & Co., Inc.
155 Federal Street
Boston, MA 02110
March 26, 1982
66.
Ferris, Baker Watts, Inc. (formerly
Ferris & Company)
1720 Eye Street, NW
Washington, DC 20006
December 4, 1987

October 6, 2003 765 2003-40 I.R.B.

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
67.
Financial Data Services, Inc.
400 Atrium Drive
Somerset, NJ 08873
November 14, 1990
68.
First Albany Corp.
41 State Street
Albany, NY 12207
September 26, 1979
69.
First Clearing Corporation
10700 Wheat First Dr.
Glen Allen, VA 23060
April 21, 1999
70.
First Illinois Capital Corp.
424 7th Street
Plaza 7
Rockford, IL 61110
May 27, 1982
71.
First Investors Corp.
120 Wall Street
New York, NY 10005
April 19, 1982
72.
First Manhattan Co.
437 Madison Avenue
New York, NY 10022
January 26, 1990
73.
First of Michigan Corporation
100 Renaissance Center, 26th Floor
Detroit, MI 48243
August 31, 1994
74.
Fiserv Securities, Inc.
One Commerce Square
2005 Market Street
Philadelphia, PA 19103
November 15, 1984
75.
Fleet Clearing Corporation
67 Wall Street
New York, NY 10005
December 3, 1986
76.
Fleet Norstar Securities, Inc.
14 Wall Street
New York, NY 10005
August 30, 1991
77.
Folger, Nolan, Fleming & Douglass
725 15th Street, N.W.
Washington, DC 20015
September 16, 1981
78.
Freedom Capital Management
Corporation
One Beacon Street
Boston, MA 02108
August 29, 1991
79.
Freeman Welwood & Co., Inc.
1501 Fourth Avenue, Suite 1700
Seattle, WA 98101
February 13, 1996
80.
G.T. Global Investors Services, Inc.
50 California Street
San Francisco, CA 94111
May 27, 1994
81.
General Conference of the Mennonite
Brethren Churches, Board of Trustees
315 South Lincoln
Hillsboro, KS 67063
March 8, 1983
82.
Goldman, Sachs & Co.
85 Broad Street
New York, NY 10004
December 8, 1982
83.
Greek Catholic Union of the U.S.A.
5400 Tuscarawas Rd.
Beaver, PA 15009-9513
May 24, 2000
84.
Gruntal & Co, Inc.
14 Wall Street
New York, NY 10005
June 13, 1984
85.
H&R Block Financial Advisors, Inc.
735 Griswold Street
Detroit, MI 48226
December 8, 1983
86.
H.G. Wellington & Co., Inc.
14 Wall Street
New York, NY 10005
September 13, 1993
87.
H.M. Payson & Co.
One Portland Square
P.O. Box 31
Portland, ME 04112
August 20, 1987

2003-40 I.R.B. 766 October 6, 2003

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
88.
Halpert and Company, Inc.
284 Millburn Avenue
Millburn, NJ 07041
April 17, 1996
89.
Hamilton Investments, Inc. (formerly
Illinois Company, Inc.)
30 North La Salle St.
Chicago, IL 60602
August 6, 1982
90.
Hampshire Funding, Inc.
One Granite Place
P.O. Box 2005
Concord, NH 03301
May 26, 1988
91.
Hanifen, Imhoff Clearing Corp.
1125 17th Street
Denver, CO 80217
April 22, 1997
92.
Hanifen, Imhoff, Inc.
1125 17th Street,
Suite 1700
Denver, CO 80202
December 3, 1985
93.
Harris Investor Services LLC
Harborside Financial Center
501 Plaza II
Jersey City, NJ 07311
May 1, 2002
94.
Hartford Life Insurance Co.
Hartford Plaza
Hartford, CT 06106
March 3, 1982
95.
Hazlett, Burt & Watson, Inc.
1300 Chapline Street
Wheeling, WV 26003
April 11, 1995
96.
Heartland Securities, Inc.
208 South LaSalle St.
Chicago, IL 60604
March 6, 1984
97.
Henry Scott, Inc.
Philadelphia, PA March 23, 1982
98.
Herzfeld & Stern, Inc.
30 Broad Street
New York, NY 10004
December 12, 1984
99.
Herzog, Heine, Geduld, Inc.
26 Broadway
New York, NY 10004
February 11, 1982
100. Holt & Collins 188 Embarcadero, Suite 760
San Francisco, CA 94105
September 8, 1988
101. Home Life Financial Assurance
Corporation
2400 West Bay Drive
Largo, FL 33540
November 13, 1986
102. Howard, Weil, Labouisse, Friedrichs,
Inc.
1100 Paydrus Street, Suite 900
New Orleans, LA 70163
December 28, 1987
103. Howe Barnes Investments, Inc. 135 S. LaSalle Street
Chicago, IL 60603
July 6, 1994
104. Huntleigh Securities Corporation 222 South Central Ave.
St. Louis, MO 63102
October 22, 1997
105. I.M. Simon & Co. 7730 Forsyth Blvd.
Clayton, MO 63105
November 3, 1981
106. iClearing, LLC 100 Wood Avenue
South Iselin, NJ 08830
February 7, 2001
107. Investment Advisers, Inc. 1100 Dain Tower
Minneapolis, MN 55440
October 9, 1981
108. Isler, Colling & McAdams Portland, OR October 5, 1978

October 6, 2003 767 2003-40 I.R.B.

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
109. J.C. Bradford & Co. 330 Commerce Street
Nashville, TN 37201
February 28, 1982
110. J.J.B. Hilliard, W.L. Lyons, Inc. Hilliard Lyons Center
501 South Fourth St.
Louisville, KY 40202
February 11, 1992
111. Jacob Engle Foundation, Inc. (The) P.O. Box 1136
Upland, CA 91786
March 25, 1983
112. Janney Montgomery Scott, Inc. 1801 Market Street
Philadelphia, PA 19103
March 23, 1982
113. Jefferson Pilot Investor Services, Inc. 100 North Greene St.
Greensboro, NC 27401
October 22, 1979
114. Jesup, Josephthal & Co., Inc. One Whitehall Street
New York, NY 10004
December 18, 1990
115. John Hancock Clearing Corporation 200 Liberty Street
New York, NY 10281
March 21, 1991
116. John Hancock Mutual Life Insurance
Company
John Hancock Place
200 Clarendon
Boston, MA 02117
August 24, 1993
117. Juran & Moody, Inc. Minnesota Mutual Life Center
400 N. Robert St.
St. Paul, MN 55101
May 27, 1994
118. Kagin Numismatic Services, Ltd. 1000 Insurance Exchange Bldg.
Des Moines, IA 50309
March 18, 1980
119. KH Funding Company 10801 Lockwood Drive, Suite 370
Silver Spring, MD 20901
February 13, 2002
120. Kirkpatrick, Pettis, Smith Polian, Inc. 1623 Farnam Street, Suite 700
Omaha, NE 68102
August 18, 1981
121. L.F. Rothchild, Unterberg, Towbin 55 Water Street
New York, NY 10041
December 23, 1985
122. Legg Mason Wood Walker, Inc. 111 S. Calvert Street
P.O. Box 1476
Baltimore, MD 21203
June 4, 1985
123. Lehman Brothers, Inc. 200 Vesey St.
New York, NY 10285
December 20, 2000
124. Lester Sumrall Evangelistic
Association, Inc.
530 East Ireland Road
South Bend, IN 46614
September 2, 1988
125. Liberty Life Insurance Co. P.O. Box 789
Greenville, SC 29602
September 3, 1982
126. Manley, Bennett, McDonald & Co. St. Louis, MO January 1, 1977
127. McDonald & Company Securities, Inc. 580 Walnut Street
Cincinnati, OH 45202
December 15, 1983
128. MEGA Life and Health Insurance
Company (The)
501 West Interstate 44 Service Road
Oklahoma City, OK 73118
May 29, 1991
129. Menold, Crawford, Hippler & Co. 23930 Michigan Ave.
Dearborn, MI 40126
December 9, 1988

2003-40 I.R.B. 768 October 6, 2003

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
130. Merrill, Lynch, Pierce, Fenner & Smith,
Inc.
One Liberty Plaza
New York, NY 10006
August 3, 1987
131. Merrimack Valley Investment, Inc. 367 Kingsbury Ave.
Haverhill, MA 01830
September 28, 1984
132. Mesirow Financial, Inc. 350 N. Clark Street
Chicago, IL 60610
May 28, 1982
133. Metropolitan Life Insurance Co. One Madison Avenue
New York, NY 10010
January 28, 1987
134. Metropolitan Mortgage & Securities
Corporation
W. 292 Sprague Ave.
Spokane, WA 99204
November 10, 1976
135. Mid-Ohio Securities Corp. Spitzer Park Plaza
511 Broad St.
Elyria, OH 44035
January 28, 1983
136. Mid-States Enterprises, Inc. Carroll, IA December 30, 1976
137. Miller Johnson & Kuehn, Inc. 5500 Wayzata Blvd.
Minneapolis, MN 55416
November 15, 2000
138. Milwaukee Company (The) 250 E. Wisconsin Ave.
Milwaukee, WI 53202
September 15, 1986
139. MKI Securities Corp. 61 Broadway
New York, NY 10006
April 17, 1985
140. Money Management Associates 4922 Fairmont Avenue
Bethesda, MD 20814
May 26, 1987
141. Moore & Schley, Cameron & Co. Two Broadway
New York, NY 10004
November 15, 1977
142. Morgan Keegan & Company, Inc. Morgan Keegan Tower
Fifty Front Street
Memphis, TN 38108
January 27, 1982
143. Morgan Stanley DW, Inc. 1585 Broadway
New York, NY 10036
May 29, 1986
144. Mortgage Loan Services, Inc. 780 Lynnhaven Parkway, Suite 200
Virginia Beach, VA 23452
March 15, 1995
145. Moseley, Hallgarten, Estabrook &
Weeden, Inc.
One New York Plaza
New York, NY
December 10, 1985
146. Murphy Favre, Inc. W. 601 Riverside, 9th Floor
Spokane, WA 99201
August 2, 1976
147. Mutual Service Cooperative Two Pine Tree Drive
Arden Hills, MN 55112
June 6, 1996
148. Myriad Corporation 1400 50th Street
West Des Moines, IA 50265
July 20, 1977
149. National Bank of Greece, S.A. 33 State Street
Boston, MA 02109
February 4, 1988
150. National Covenant Properties Chicago, IL June 30, 1978
151. National Investor Services Corp. 44 Wall Street
New York, NY 10005
March 18, 1996

October 6, 2003 769 2003-40 I.R.B.

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
152. National Life Insurance Company One National Life Drive
Montpelier, VT 05604
January 1, 1998
153. National Securities Corporation 1001 Fourth Avenue, Suite 2200
Seattle, WA 98154
December 31, 1986
154. Nationwide Advisory Services, Inc.
(Nationwide Financial Services, Inc)
One Nationwide Plaza
Columbus, OH 43216
September 25, 1985
155. Nationwide Credit Union One Nationwide Plaza
Columbus, OH 43216
April 13, 1978
156. NBC Securities, Inc. 1927 First Ave., North
Birmingham, AL 35203
July 16, 1996
157. Neuberger & Berman 522 Fifth Ave.
New York, NY 10036
October 4, 1983
158. Newhard, Cook & Co. 300 North Broadway
St. Louis, MO 63102
June 4, 1985
159. Oberweis Securities, Inc. 841 North Lake Street
Aurora, IL 60506
February 11, 1985
160. PaineWebber, Incorporated 1285 Avenue of the Americas
New York, NY 10019
May 12, 1989
161. Parker/Hunter, Inc. 600 Grant Street
Pittsburgh, PA 15219
June 15, 1990
162. Partnership Services, Inc. 5520 LBJ Freeway, Suite 430
Dallas, TX 75240
March 31, 1993
163. Peninsular Securities Co. Waters Building
Grand Rapids, MI 49503
January 28, 1985
164. Perelman-Carley & Associates, Inc. 3000 Farnam Street
Omaha, NE 68131
January 13, 1989
165. Perkins, Wolf, McDonnell & Company 53 West Jackson Blvd.
Chicago, IL 60604
December 30, 1991
166. Pflueger & Baerwald, Inc. 220 Montgomery Street
San Francisco, CA 94104
November 9, 1981
167. PFS Investments, Inc. 3120 Breckenridge Blvd.
Duluth, GA 30199
September 28, 1995
168. Pioneer Financial Services, Inc. 4233 Roanoke Road
Kansas City, MO 64111
January 25, 1985
169. Pioneer Investment Management 60 State Street
Boston, MA 02109
February 21, 1986
170. Prescott, Ball & Turben, Inc. 1331 Euclid Ave.
Cleveland, OH 44115
January 27, 1983
171. PrimeVest Financial Services, Inc. 400 First Street South
St. Cloud, MN 56301-3600
December 8, 1993
172. Principal Life Insurance Company 711 High Street
Des Moines, IA 50392-0001
July 27, 1988
173. Prudential Securities, Inc. 100 Gold Street
New York, NY 10292
July 28, 1989

2003-40 I.R.B. 770 October 6, 2003

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
174. R. Rowland & Co., Inc. St. Louis, MO March 29, 1984
175. R.G. Dickinson & Co. 200 Des Moines Building
405 6th Ave.
Des Moines, IA 50309
July 20, 1983
176. R.J. Steichen & Company Midwest Plaza, Suite 100
801 Nicolett Mall
Minneapolis, MN 55402-2526
May 21, 1993
177. Raymond James & Associates, Inc. 880 Carrillon Parkway
P.O. Box 12749
St. Petersburg, FL 33733-2749
April 26, 1982
178. Raymond James & Associates, Inc. 880 Carillon Parkway
P.O. Box 12749
St. Petersburg, FL 33733-2749
March 8, 1982
179. RBC Dain Rauscher, Inc. Dain Rauscher Plazza
60 South Sixth Street
Minneapolis, MN 55402-4422
March 2, 1998
180. RBC Dain Rauscher, Inc. Dain Rauscher Plazza
60 South Sixth Street
Minneapolis, MN 55402-4422
January 22, 1982
181. Regan MacKenzie, Incorporated 999 Third Avenue, Suite 4300
Seattle, WA 98104
August 31, 1989
182. Regions Investment Company, Inc. 2011 Fourth Ave. North
Birmingham, AL 35203
July 20, 2000
183. Reserve Management Company, Inc. 810 Seventh Avenue
New York, NY 10019
October 18, 1989
184. Robert W. Baird & Co., Inc. 777 E. Wisconsin Ave.
Milwaukee, WI 53202
July 31, 1986
185. Robinson-Humphrey Co., Inc (The) 2 Peachtree St., N.W.
Atlanta, GA 30383
May 24, 1982
186. Romano Bros. & Co. 820 Davis Street
Evanston, IL 60201
September 28, 1984
187. Rose & Company Investment, Inc. 141 W. Jackson Blvd.
Chicago, IL 60604
April 14, 1982
188. Rotan Mosle, Inc. 1500 South Tower Pennzoil Place
P.O. Box 3226
Houston, TX 77001
May 6, 1980
189. Rushmore Investment Brokers, Inc. 4922 Fairmont Avenue
Bethesda, MD 20814
September 24, 1986
190. Salomon Smith Barney, Inc. 388 Greenwich St.
New York, NY 10105
July 22, 1985
191. Sanford C. Bernstein & Co., Inc. 767 Fifth Avenue
New York, NY 10153
November 13, 1986
192. Santa Ana City Employees Credit
Union
800 W. Santa Ana Blvd.
Santa Ana, CA 92701
March 25, 1982

October 6, 2003 771 2003-40 I.R.B.

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
193. Saturna Capital Corporation 101 Prospect Street
Bellingham, WA 98227-2838
March 28, 1991
194. SBC Trust Services, Inc. 2401 Cedar Springs Rd.
Dallas, TX 75201-1407
April 10, 2001
195. SBCI Swiss Bank Corporation Investment Banking, Inc.
222 Broadway, 4th Floor
New York, NY 10038
February 11, 1992
196. SBM Financial Services, Inc. 8400 Normandale Lake Boulevard
Suite 1150
Minneapolis, MN 55437
May 13, 1995
197. Scott & Stringfellow, Inc. (FKN Craige,
Inc.)
823 E. Main Street
Richmond, VA 23219
May 5, 1999
198. Scottsdale Securities, Inc. 12855 Flushing Meadow Drive
St. Louis, MO 63131
October 9, 1996
199. Securities Management Research Two Moody Plaza
Galveston, TX 77550
June 22, 1978
200. Security Management Company (FKA
Security Management)
700 SW Harrison St.
Topeka, KS 66636-0001
August 14, 1996
201. SG Cowen Securities Corporation 1221 Avenue of the Americas
New York, NY 10020
June 30, 1998
202. SMA Services, Inc. 35 Lakeshore Drive
Birmingham, AL 35209
August 27, 1998
203. Smith, Moore & Co. 400 Locust Street
St. Louis, MO 63102
January 18, 1983
204. Southwest Securities, Inc. Renaissance Tower
1201 Elm Street
Suite 4300
Dallas, TX 75270
December 9, 1992
205. Spear Rees & Co. 505 North Brand Blvd., Sixteenth Floor
Glendale, CA 91203
January 13, 1988
206. Spear, Leeds & Kellog 120 Broadway
New York, NY 10271
March 29, 1996
207. State Bond and Mortgage Company 8500 Normandale Lake Blvd.,
Minneapolis, MN 55437
December 21, 1990
208. State Employees Credit Union 801 Hillsborough Street
P.O. Box 26807
Raleigh, NC 27611-6807
January 1, 1977
209. State Farm Investment Corporation One State Farm Plaza
Bloomington, IL 61410
September 22, 1999
210. Stephens, Inc. 111 Center Street
Little Rock, AR 72201
December 4, 1987
211. Stern Brothers & Co 1100 Main Street, Suite 2200
Kansas City, MO 64199
December 15, 1987
212. Sterne, Agee & Leach, Inc. 1500 Am South-Sonat Tower
Birmingham, AL 35203
September 11, 1981

2003-40 I.R.B. 772 October 6, 2003

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
213. Stifel, Nicolaus & Co., Inc. 500 North Broadway
St. Louis, MO 63102
September 9, 1981
214. Summit Discount Brokerage (FKA
Lehigh Securities Corp.)
1457 MacArthur Road
Lehigh Valley, PA 18002
April 4, 1990
215. Sunpoint Securities, Inc. 911 W. Loop 281
Longview, TX 75604
April 1, 1998
216. SunTrust Capital Markets, Inc. 3333 Peachtree Road, NE
Atlanta, GA 30326
May 27, 1982
217. Sutro & Company, Inc. 201 California Street
San Francisco, CA 94111-5096
December 8, 1988
218. Swiss American Securities, Inc. 100 Wall Street
New York, NY 10005
December 2, 1980
219. Texas First Securities Corporation 1360 Post Oak Blvd., Suite 120
Houston, TX 77056
November 17, 1988
220. TIAA-CREF Individual & Institutional
Services, Inc.
730 Third Avenue
New York, NY 10017
September 9, 2002
221. Tucker Anthony, Incorporated One Beacon Street
Boston, MA 02108
October 23, 1980
222. U.S. Bancorp Piper Jaffray, Inc. 800 Micollet Mall, Suite 800
Minneapolis, MN 55402-7020
April 21, 1982
223. U.S. Clearing Corporation 120 Wall Street
New York, NY 10005
May 3, 1983
224. Unified Financial Securities, Inc. 429 North Pennsylvania Street
Indianapolis, IN 46204
October 28, 1976
225. United of Omaha Life Insurance Mutual of Omaha Plaza
Omaha, NE 68175
March 16, 1982
226. USAA Transfer Agency Company of
Delaware
USAA Building
San Antonio, TX 78288
October 2, 1990
227. W.H. Reaves & Co., Inc. 30 Montgomery Street
Jersey City, NJ 07302
December 7, 1990
228. W.H. Turlington & Co. 509 East Center Street
Lexington, NC 27292
November 3, 1980
229. Wachovia Securities, Inc. 201 North Tryon Street
Charlotte, NC 28202
April 6, 1990
230. Waterhouse Securities, Inc. 44 Wall Street
New York, NY 10005
February 23, 1988
231. Wayne Hummer & Co. 300 South Wacker Drive
Chicago, IL 60606
January 25, 1983
232. Web Street Securities, Inc. 222 South Riverside Plaza, 11th Floor
Chicago, IL 60601
April 27, 2000
233. Wedbush Morgan Securities 1000 Wilshire Boulevard
Los Angeles, CA 90030
December 24, 1984
234. Weiss, Peck & Greer One New York Plaza
New York, NY 10004
June 16, 1982

October 6, 2003 773 2003-40 I.R.B.

APPROVED Nonbank Trustees/Custodians as of December 31, 2002

Name Address Approval Date
235. Wells Advisors, Inc. 3885 Holcomb Bridge Road
Norcross, GA 30092
March 20, 1992
236. Wexford Clearing Services Corporation 1 New York Plaza, 11th Floor
New York, NY 10292
June 30, 1998
237. Wheat, First Securities, Inc. 707 East Main Street
P.O. Box 135
Richmond, VA 23211
March 23, 1983
238. William R. Hough & Co., Inc. 100 2nd Avenue South, Suite 800
St. Petersburg, FL 33701
April 18, 1995

2003-40 I.R.B. 774 October 6, 2003

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