Introduction
Internal Revenue Bulletin 2008-1 · 2026-10-03 edition · updated 2026-10-04 · United States
Sections in this part
- Part III. Administrative, Procedural, and Miscellaneous
- SECTION 3. ON WHAT ISSUES MAY TAXPAYERS REQUEST WRITTEN ADVICE UNDER THIS
- SECTION 4. ON WHAT ISSUES MUST WRITTEN ADVICE BE REQUESTED UNDER DIFFERENT
- SECTION 5. UNDER WHAT CIRCUMSTANCES DO THE ASSOCIATE OFFICES ISSUE LETTER
- SECTION 6. UNDER WHAT CIRCUMSTANCES DOES THE SERVICE NOT ISSUE LETTER RULINGS
- SECTION 7. WHAT ARE THE GENERAL INSTRUCTIONS FOR REQUESTING LETTER RULINGS AND
- SECTION 9. WHAT ARE THE SPECIFIC AND ADDITIONAL PROCEDURES FOR A REQUEST FOR A
- SECTION 14. UNDER WHAT CIRCUMSTANCES ARE MATTERS REFERRED BETWEEN A DIRECTOR
- SECTION 15. WHAT ARE THE USER FEE REQUIREMENTS FOR REQUESTS FOR LETTER RULINGS
- SECTION 1. WHAT IS THE
- SECTION 2. WHAT ARE
- SECTION 3. ON WHAT ISSUES
- SECTION 4. ON WHAT ISSUES
- SECTION 5. UNDER WHAT
- SECTION 6. UNDER WHAT
- SECTION 7. WHAT ARE THE
- SECTION 8. HOW DO THE
- SECTION 9. WHAT ARE THE
- SECTION 10. HOW ARE
- SECTION 11. WHAT EFFECT
- SECTION 12. UNDER
- SECTION 13. WHAT EFFECT
- SECTION 14. UNDER WHAT
- SECTION 15. WHAT ARE THE
- SECTION 16. WHAT
- SECTION 17. WHAT IS THE
- SECTION 18. WHAT IS THE
- SECTION 19. PAPERWORK
- SECTION 8. INITIAL PROCESSING OF THE REQUEST FOR TECHNICAL ADVICE BY THE ASSOCIATE
- SECTION 1. PURPOSE AND
- SECTION 2. DEFINITIONS
- SECTION 3. THE NATURE OF
- SECTION 4. TYPES OF ISSUES
- SECTION 5. INITIATING A
- SECTION 6. PRE-SUBMISSION
- SECTION 7. SUBMITTING THE
- SECTION 8. INITIAL
- SECTION 9. TAXPAYER
- SECTION 10. PREPARATION
- SECTION 11. WITHDRAWAL
- SECTION 12. USE OF THE
- SECTION 14. HOW MAY
- SECTION 15. SIGNIFICANT
- SECTION 16. EFFECT ON
- SECTION 17. EFFECTIVE
- SECTION 2. BACKGROUND AND
- SECTION 1. PURPOSE AND
- SECTION 3. AREAS IN WHICH
- SECTION 4. AREAS IN WHICH
- SECTION 5. AREAS UNDER
- SECTION 6. AREAS COVERED
- SECTION 7. EFFECT ON OTHER
- SECTION 8. EFFECTIVE DATE
- SECTION 9. PAPERWORK
- SECTION 3. IN WHAT FORM IS GUIDANCE PROVIDED BY THE COMMISSIONER, TAX EXEMPT AND
- SECTION 4. ON WHAT ISSUES MAY TAXPAYERS REQUEST WRITTEN GUIDANCE UNDER THIS
- SECTION 5. ON WHAT ISSUES MUST WRITTEN GUIDANCE BE REQUESTED UNDER DIFFERENT
- SECTION 7. UNDER WHAT CIRCUMSTANCES DOES EP OR EO DETERMINATIONS ISSUE
- SECTION 8. UNDER WHAT CIRCUMSTANCES DOES THE SERVICE HAVE DISCRETION TO ISSUE
- SECTION 9. WHAT ARE THE GENERAL INSTRUCTIONS FOR REQUESTING LETTER RULINGS AND
- SECTION 15. UNDER WHAT CIRCUMSTANCES ARE MATTERS REFERRED BETWEEN
- SECTION 16. WHAT ARE THE GENERAL PROCEDURES APPLICABLE TO INFORMATION LETTERS
- SECTION 1. WHAT IS THE
- SECTION 2. WHAT CHANGES
- SECTION 3. IN WHAT FORM
- SECTION 4. ON WHAT ISSUES
- SECTION 5. ON WHAT ISSUES
- SECTION 6. UNDER WHAT
- SECTION 7. UNDER WHAT
- SECTION 8. UNDER WHAT
- SECTION 9. WHAT ARE THE
- SECTION 10. WHAT
- SECTION 11. HOW DOES EP
- SECTION 12. HOW ARE
- SECTION 13. WHAT EFFECT
- SECTION 14. WHAT EFFECT
- SECTION 15. UNDER WHAT
- SECTION 16. WHAT
- SECTION 17. WHAT IS THE
- SECTION 18. EFFECTIVE
- SECTION 19. PAPERWORK
- SECTION 6. MAY A TAM BE REQUESTED FOR A § 301.9100–1 REQUEST DURING THE COURSE OF
- SECTION 12. HOW DOES A TAXPAYER APPEAL AN EP OR EO MANAGER’S OR AN APPEALS AREA
- SECTION 17. HOW DOES EP OR EO EXAMINATIONS OR EP OR EO DETERMINATIONS OR AN
- SECTION 1. WHAT IS THE
- SECTION 2. WHAT
- SECTION 3. WHAT IS THE
- SECTION 4. ON WHAT ISSUES
- SECTION 5. ON WHAT
- SECTION 6. MAY TAM UNDER
- SECTION 7. WHO IS
- SECTION 8. WHEN SHOULD A
- SECTION 9. HOW
- SECTION 10. WHAT MUST BE
- SECTION 11. HOW ARE
- SECTION 12. HOW DOES A
- SECTION 13. HOW ARE
- SECTION 14. HOW ARE
- SECTION 15. HOW IS STATUS
- SECTION 16. HOW DOES EP
- SECTION 17. HOW DOES AN
- SECTION 18. WHAT IS THE
- SECTION 19. HOW MAY
- SECTION 20. WHAT IS THE
- SECTION 21. EFFECTIVE
- SECTION 22. PAPERWORK
The Internal Revenue Bulletin is the authoritative instrument of the Commissioner of Internal Revenue for announcing official rulings and procedures of the Internal Revenue Service and for publishing Treasury Decisions, Executive Orders, Tax Conventions, legislation, court decisions, and other items of general interest. It is published weekly and may be obtained from the Superintendent of Documents on a subscription basis. Bulletin contents are compiled semiannually into Cumulative Bulletins, which are sold on a single-copy basis.
It is the policy of the Service to publish in the Bulletin all substantive rulings necessary to promote a uniform application of the tax laws, including all rulings that supersede, revoke, modify, or amend any of those previously published in the Bulletin. All published rulings apply retroactively unless otherwise indicated. Procedures relating solely to matters of internal management are not published; however, statements of internal practices and procedures that affect the rights and duties of taxpayers are published.
Revenue rulings represent the conclusions of the Service on the application of the law to the pivotal facts stated in the revenue ruling. In those based on positions taken in rulings to taxpayers or technical advice to Service field offices, identifying details and information of a confidential nature are deleted to prevent unwarranted invasions of privacy and to comply with statutory requirements.
Rulings and procedures reported in the Bulletin do not have the force and effect of Treasury Department Regulations, but they may be used as precedents. Unpublished rulings will not be relied on, used, or cited as precedents by Service personnel in the disposition of other cases. In applying published rulings and procedures, the effect of subsequent legislation, regulations,
the tax law with integrity and fairness to all.
court decisions, rulings, and procedures must be considered, and Service personnel and others concerned are cautioned against reaching the same conclusions in other cases unless the facts and circumstances are substantially the same.
The Bulletin is divided into four parts as follows:
Part I.—1986 Code. This part includes rulings and decisions based on provisions of the Internal Revenue Code of 1986.
Part II.—Treaties and Tax Legislation. This part is divided into two subparts as follows: Subpart A, Tax Conventions and Other Related Items, and Subpart B, Legislation and Related Committee Reports.
Part III.—Administrative, Procedural, and Miscellaneous. To the extent practicable, pertinent cross references to these subjects are contained in the other Parts and Subparts. Also included in this part are Bank Secrecy Act Administrative Rulings. Bank Secrecy Act Administrative Rulings are issued by the Department of the Treasury’s Office of the Assistant Secretary (Enforcement).
Part IV.—Items of General Interest. This part includes notices of proposed rulemakings, disbarment and suspension lists, and announcements.
The last Bulletin for each month includes a cumulative index for the matters published during the preceding months. These monthly indexes are cumulated on a semiannual basis, and are published in the last Bulletin of each semiannual period.
The contents of this publication are not copyrighted and may be reprinted freely. A citation of the Internal Revenue Bulletin as the source would be appropriate.
For sale by the Superintendent of Documents, U.S. Government Printing Office, Washington, DC 20402.
2008–1 I.R.B. January 7, 2008
January 7, 2008 2008–1 I.R.B.
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