INCOME TAX
Internal Revenue Bulletin 2016-20 · 2026-10-03 edition · updated 2026-10-04 · United States
REG–135734–14, page 853. This document withdraws portions of a notice of proposed rulemaking published in the Federal Register on February 11, 2009. The withdrawn portions relate to the application of section 367(b) to transactions described in section 304(a)(1). This document also withdraws portions of a notice of proposed rulemaking published in the Federal Register on January 17, 2014. The withdrawn portions relate to the identification of certain stock of a foreign corporation that is disregarded in calculating ownership of the foreign corporation for purposes of determining whether it is a surrogate foreign corporation for purposes of section 7874.
Announcement 2016–17, page 853. This announcement provides notice that the IRS will not impose penalties under section 6721 or 6722 on eligible educational institutions with respect to Forms 1098–T, Tuition Statement, required to be filed and furnished for the 2016 calendar year under section 6050S if the institution reports the aggregate amount billed for qualified tuition and related expenses on Form 1098–T instead of the aggregate amount of payments received as required by section 212 of the Protecting Americans from Tax Hikes Act of 2015 (Public Law 114–113 (129 Stat. 2242 (2015))(PATH).
Rev. Proc. 2016–28, page 852. This revenue procedure provides the 2017 inflation adjusted amounts for Health Savings Accounts under section 223 of the Internal Revenue Code.
T.D. 9761, page 743. This document contains temporary regulations that address transactions that are structured to avoid the purposes of sections 7874 and 367 of the Internal Revenue Code (the Code) and certain post-inversion tax avoidance transactions. These regulations affect certain domestic corporations and
Finding Lists begin on page ii.
Get a plain-English answer with a citation back to this text.
Ask AI about this code