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Bulletin No. 2013–44 October 28, 2013

Internal Revenue Bulletin 2013-44 · 2026-10-03 edition · updated 2026-10-04 · United States

Notice 2013–63, page 436 In order to provide emergency housing relief needed as a result of the devastation caused by severe storms, flooding, landslides, and mudslides in Colorado, this notice temporarily suspends certain requirements under § 142(d) for qualified residential rental projects financed with exempt facility bonds issued by state and local governments under § 142. To that end, this Notice suspends the income requirements during a temporary housing period that ends September 30, 2014, for units of a Project within which units are occupied by displaced individuals. It also provides certain modifications to the beginning and ending dates of the qualified project period for a Project occupied by displaced individuals, provides that displaced persons are not to be considered transient, and provides 60 days for correcting non-compliant Projects at the end of the temporary housing period.

Notice 2013–64, page 438 The Internal Revenue Service is suspending certain requirements under § 42 of the Code for low-income housing credit projects to provide emergency housing relief needed as a result of the devastation caused by recent weather-related disasters in the State of Colorado.

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EXEMPT ORGANIZATIONS

Announcement 2013–42, page 464 The IRS has revoked its determination that the following organizations qualify as organizations described in sections 501(c)(3) and 170(c)(2) of the Code: American College of Forensic Examiners International, Inc. of Springfield, MO., B & L Grace Foundation of Fresno, CA., Big Apple Day School of Brooklyn, NY., BuildClean of Houston, TX., Foster Care Network, Inc. of Goodyear, AZ., Generational Arts Limited of New York, NY., Help End Hunger Now Foundation of Troy, MI., IDA Foundation for Autism and Alzheimer’s Research and Solution, Inc. of Homestead, FL., J. D. Davis Community Service, Inc., of Inglewood, CA., Joy Center, Inc. of Stuart, FL., Lifeskills 411 of Richmond, CA., The Music Box Lurrine Burgess of Los Angeles, CA., and One World Hunger of Union Center, CA.

EMPLOYMENT TAX

Notice 2013–61, page 432 This notice provides guidance for employers and employees to make claims for refund or adjustments of overpayments of Federal Insurance Contributions Act (FICA) taxes and Federal income tax withholding resulting from the Supreme Court decision in United States v. Windsor, 570 U.S. ___, 133 S.Ct. 2675 (2013) decision and Revenue Ruling 2013–17, 2013–38 I.R.B. 201.

EXCISE TAX

T.D. 9637, page 427 These final regulations remove any reference to, or requirement of reliance on, credit ratings in regulations under the Internal Revenue Code and provide substitute standards of credit-worthiness where appropriate, pursuant to the DoddFrank Act.

ADMINISTRATIVE

Notice 2013–65, page 440 Optional special per diem rates. This notice provides the 2013–2014 special per diem rates for taxpayers to use in substantiating the amount of ordinary and necessary business expenses incurred while traveling away from home. The notice includes (1) the special transportation industry rate, (2) the rate for the incidental expenses only deduction, and (3) the rates and list of high-cost localities for the high-low substantiation method.

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▸Contents — Internal Revenue Bulletin 2013-44

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