SECTION 13. REQUESTS FOR
Internal Revenue Bulletin 2006-49 · 2026-10-03 edition · updated 2026-10-04 · United States
RULINGS
.01 General . Requests for advance rulings regarding the interpretation or application of a tax treaty, as distinguished from requests for assistance from the U.S. competent authority pursuant to this revenue procedure, must be submitted to the Associate Chief Counsel (International). See Rev. Proc. 2006–1, 2006–1 I.R.B. 1, and Rev. Proc. 2006–7, 2006–1 I.R.B. 242.
.02 Foreign Tax Rulings . The IRS does not issue advance rulings on the effect of a tax treaty on the tax laws of a treaty country for purposes of determining the tax of the treaty country.
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