Skip to content

Introduction

SECTION 6. REQUEST FOR

Internal Revenue Bulletin 2009-51 · 2026-10-03 edition · updated 2026-10-04 · United States

COMMENTS

The IRS invites the public to submit comments on this notice by May 1, 2010. Comments are specifically sought on the following:

• Whether truncation of an individual’s

identifying number on paper payee statements should be required, rather than permitted;

Exceptions & meaning →

• Whether truncation should be permit

ted or required for identifying numbers appearing on paper payee statements not within the scope of this notice;

Exceptions & meaning →

• Whether truncation should be permit

ted or required for payee statements furnished electronically;

Exceptions & meaning →

• Whether a filer should be required to

include the complete identifying num

ber on the payee statement if requested by the payee; and

Exceptions & meaning →

• Whether truncation creates difficulties

for filers and/or payees.

Comments on any other matters relating to the procedures set forth in this notice are also encouraged.

Comments should be submitted to: Internal Revenue Service, CC:PA:LPD:PR (Notice 2009–93), Room 5203, P.O. Box 7604, Ben Franklin Station, N.W., Washington, D.C. 20044. Alternatively, comments may be hand delivered between the hours of 8:00 a.m. and 4:00 p.m., Monday through Friday, to CC:PA:LPD:PR (Notice 2009–93), Courier’s Desk, Internal Revenue Service, 1111 Constitution Avenue, N.W., Washington, D.C. Comments may also be transmitted electronically via the following e-mail address: Notice.Comments@irscounsel.treas.gov. Please include “Notice 2009–93” in the subject line of any electronic communications. All comments will be available for public inspection and copying.

Exceptions & meaning →

Get a plain-English answer with a citation back to this text.

Ask AI about this code
▸Contents — Internal Revenue Bulletin 2009-51

GoCodebook provides public access, search, citation, multilingual explanation, and practical interpretation of legally adopted building regulations. It is not a substitute for the official ICC or California code publications.