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Introduction

SECTION 3. REQUEST FOR

Internal Revenue Bulletin 2005-41 · 2026-10-03 edition · updated 2026-10-04 · United States

COMMENTS

The Service requests comments regarding the pilot program. Comments should refer to Rev. Proc. 2005–68, and should be submitted to:

Internal Revenue Service P.O. Box 7604 Ben Franklin Station Washington, DC 20044 Attn: CC:PA:RU Room 5226

118, which sets forth the areas of the Internal Revenue Code under the jurisdiction of the Associate Chief Counsel (Corporate), the Associate Chief Counsel (Financial Institutions and Products), the Associate Chief Counsel (Income Tax and Accounting), the Associate Chief Counsel (Passthroughs and Special Industries), the Associate Chief Counsel (Procedure and Administration), and the Division Counsel/Associate Chief Counsel (Tax Exempt and Government Entities) relating to issues on which the Internal Revenue Service will not issue letter rulings or determination letters.

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