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SECTION 5. CONTACT

Internal Revenue Bulletin 2006-14 · 2026-10-03 edition · updated 2026-10-04 · United States

INFORMATION

The principle authors of this notice are Jason Kleinman and Ethan Atticks of the Office of the Associate Chief Counsel (International). For further information regarding this notice, contact

F. Foreign Tax Treatment of Cross Licensing

Information is requested on the tax consequences of cross licenses under foreign income tax laws.

SUBMISSION OF COMMENTS

Written comments, information, and documents may be submitted to the Office of Associate Chief Counsel (International), Attention: John E. Hinding (Notice 2006–34), CC:INTL:6, Internal Revenue Service, 1111 Constitution Avenue, NW, Washington, DC 20224. Alternatively, taxpayers may submit comments electronically to notice.comments@irscounsel.treas.gov . Comments will be available for public inspection and copying. Please include: Notice 2006–34 in the subject line of any electronic communications.

The deadline for submission of comments is May 31, 2006.

DRAFTING INFORMATION

The principal author of this notice is John E. Hinding of the Office of Associate Chief Counsel (International). For further information regarding this notice, contact John E. Hinding at 202–435–5156 (not a toll-free call).

Revocation of Qualified Intermediary Branch Rule

Notice 2006–35

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▸Contents — Internal Revenue Bulletin 2006-14

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