SECTION 5. ON WHAT
Internal Revenue Bulletin 2016-1 · 2026-10-03 edition · updated 2026-10-04 · United States
ISSUES MUST WRITTEN GUIDANCE BE REQUESTED UNDER DIFFERENT PROCEDURES?
Determination letters .01 The procedures for obtaining determination letters involving §§ 401, 403(a), 409, and 4975(e)(7), and the status for exemption of any related trusts or custodial accounts under § 501(a) are contained in Rev. Proc. 2016–6, this Bulletin. The procedures for obtaining determination letters involving the initial qualification for exempt status of organizations described in §§ 501 and 521 are contained in Rev. Proc. 2016–5, this Bulletin. The procedures for obtaining determination letters involving classification and reclassification of private foundation status are contained in Rev. Proc. 2016–10, next Bulletin.
Master and prototype plans, volume submitter plans, and prototype plans
Employee Plans Compliance Resolution System
.02 The procedures for obtaining opinion letters for master and prototype plans and any related trusts or custodial accounts under §§ 401(a), 403(a) and 501(a) and advisory letters for volume submitter plans are contained in Rev. Proc. 2015–36, 2015–27 I.R.B. 20. The procedures for obtaining opinion letters for prototype trusts, custodial accounts or annuities under § 408(a), (b), (k) or (p) or § 408A, are contained in Rev. Proc. 87–50; Rev. Proc. 91–44; Rev. Proc. 92–38; Rev. Proc. 97–29; Rev. Proc. 98–59; Rev. Proc. 2002–10, and Rev. Proc. 2010–48, as modified by Rev. Proc. 2016–8. The procedures for obtaining opinion and advisory letters for prototype plans and volume submitter plans under § 403(b) are contained in Rev. Proc. 2013–22, as modified by Rev. Proc. 2014–28, 2014–16 I.R.B. 944.
.03 The procedures for obtaining compliance statements, etc., for certain failures of plans qualified under § 401(a), § 403(b) plans, SEPs, SIMPLEs and § 457(b) plans under the EPCRS are contained in Rev. Proc. 2013–12, as modified by Rev. Proc. 2015–27, 2015–16 I.R.B. 914 and Rev. Proc. 2015–28, 2015–16 I.R.B. 920.
Chief Counsel .04 The procedures for obtaining letter rulings, closing agreements, and information letters on issues within the jurisdiction of the Chief Counsel are contained in Rev. Proc. 2016–1, this Bulletin, including tax issues involving interpreting or applying the federal tax laws and income tax treaties relating to international transactions or involving exempt organizations and certain issues involving employee plans and government entities.
Alcohol, tobacco, and firearms taxes
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