Guidance Under Section 951 for Determining Pro Rata Share; Correction, 67905 [05-22262]
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Federal Register / Vol. 70, No. 216 / Wednesday, November 9, 2005 / Rules and Regulations
Applicability
DEPARTMENT OF THE TREASURY
(c) This AD applies to Hamilton
Sundstrand Power Systems (formerly
Sundstrand Power Systems) auxiliary power
units (APUs) models T–62T–46C2, T–62T–
46C2A, T–62T–46C3, T–62T–46C7, and T–
62T–46C7A, with compressor impeller
assembly, part number (P/N) 4502020 or
4502020A installed. These APUs are
installed on, but not limited to, BAE Systems
AVRO 146, Fokker 50, Saab 2000, and Saab
340 airplanes.
Unsafe Condition
(d) This AD results from two reports of
uncontained failures of compressor impeller
assemblies. We are issuing this AD to prevent
an uncontained APU failure and damage to
the airplane.
Compliance
(e) You are responsible for having the
actions required by this AD performed within
the compliance times specified unless the
actions have already been done.
(f) For APUs with compressor impeller
assemblies that have 12,000 or more cyclessince-new (CSN) accumulated on the
effective date of this AD, remove compressor
impeller assemblies from service before
accumulating 500 additional cycles.
(g) For APUs with compressor impeller
assemblies that have fewer than 12,000 CSN
on the effective date of this AD, remove
compressor impeller assemblies from service
at or before accumulating 12,500 CSN.
Alternative Methods of Compliance
(h) The Manager, Los Angeles Aircraft
Certification Office, has the authority to
approve alternative methods of compliance
for this AD if requested using the procedures
found in 14 CFR 39.19.
Related Information
(i) Hamilton Sundstrand Service Bulletins
No. 4500090–49–33, dated January 6, 2005,
No. 4500482–49–33, dated January 6, 2005,
No. 4501578–49–22, dated January 13, 2005,
No. 4501690–49–47, dated November 19,
2005, and No. 4501909–49–16, dated January
13, 2005, pertain to the subject of this AD.
Issued in Burlington, Massachusetts, on
November 2, 2005.
Peter A. White,
Acting Manager, Engine and Propeller
Directorate, Aircraft Certification Service.
[FR Doc. 05–22208 Filed 11–8–05; 8:45 am]
BILLING CODE 4910–13–P
Internal Revenue Service
[TD 9222]
RIN 1545–BD49
BILLING CODE 4830–01–P
Guidance Under Section 951 for
Determining Pro Rata Share;
Correction
DEPARTMENT OF THE TREASURY
Internal Revenue Service (IRS),
Treasury.
26 CFR Part 1
AGENCY:
ACTION:
Correction to final regulations.
SUMMARY: This document corrects final
regulations (TD 9222) that were
published in the Federal Register on
Thursday, August 25, 2005 (70 FR
49864).
The final regulations under section
951(a) of the Internal Revenue Code
(Code) provide guidance for
determining a United States
shareholder’s pro rata share of a
controlled foreign corporation’s (CFC’s)
subpart F income, previously excluded
subpart F income withdrawn from
investment in less developed countries,
and previously excluded subpart F
income withdrawn from foreign base
company shipping operations.
This correction is effective
August 25, 2005.
DATES:
FOR FURTHER INFORMATION CONTACT:
Jeffrey L. Vinnik, (202) 622–3840 (not a
toll-free number).
SUPPLEMENTARY INFORMATION:
Background
The final regulations (TD 9222) that
are the subject of this correction are
under section 951(a) of the Internal
Revenue Code.
Need for Correction
As published, the final regulations
(TD 9222) contain an error that may
prove to be misleading and is in need
of clarification.
Correction of Publication
Accordingly, the publication of the
final regulations (TD 9222), which was
the subject of FR Doc. 05–16611, is
corrected as follows:
I On page 49864, column 2, in the
preamble under the paragraph heading,
‘‘A. Amounts Determined Under Section
956 of the Code’’ second paragraph, line
4, the language ‘‘to section 956 under
15:11 Nov 08, 2005
Jkt 208001
§ 1.951–(1)(e).’’ is corrected to read ‘‘to
section 956 under § 1.951–1(e).’’.
Cynthia E. Grigsby,
Acting Chief, Publications and Regulations
Branch, Legal Processing Division, Associate
Chief Counsel, (Procedure and
Administration).
[FR Doc. 05–22262 Filed 11–8–05; 8:45 am]
26 CFR Part 1
I
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67905
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Internal Revenue Service
[TD 9222]
RIN 1545–BD49
Guidance Under Section 951 for
Determining Pro Rata Share;
Correction
Internal Revenue Service (IRS),
Treasury.
ACTION: Correcting amendment.
AGENCY:
SUMMARY: This document corrects final
regulations (TD 9222) that were
published in the Federal Register on
Thursday, August 25, 2005 (70 FR
49864). The final regulations under
section 951(a) of the Internal Revenue
Code (Code) provide guidance for
determining a United States
shareholder’s pro rata share of a
controlled foreign corporation’s (CFC’s)
subpart F income, previously excluded
subpart F income withdrawn from
investment in less developed countries,
and previously excluded subpart F
income withdrawn from foreign base
company shipping operations.
DATES: This correction is effective
August 25, 2005.
FOR FURTHER INFORMATION CONTACT:
Jeffrey L. Vinnik, (202) 622–3840 (not a
toll-free number).
SUPPLEMENTARY INFORMATION:
Background
The final regulations (TD 9222) that
are the subject of this correction are
under section 951(a) of the Internal
Revenue Code.
Need for Correction
As published, the final regulations
(TD 9222) contain errors that may prove
to be misleading and are in need of
clarification.
List of Subjects 26 CFR Part 1
Income taxes, Reporting and
recordkeeping requirements.
E:\FR\FM\09NOR1.SGM
09NOR1
Agencies
[Federal Register Volume 70, Number 216 (Wednesday, November 9, 2005)]
[Rules and Regulations]
[Page 67905]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 05-22262]
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DEPARTMENT OF THE TREASURY
Internal Revenue Service
26 CFR Part 1
[TD 9222]
RIN 1545-BD49
Guidance Under Section 951 for Determining Pro Rata Share;
Correction
AGENCY: Internal Revenue Service (IRS), Treasury.
ACTION: Correction to final regulations.
-----------------------------------------------------------------------
SUMMARY: This document corrects final regulations (TD 9222) that were
published in the Federal Register on Thursday, August 25, 2005 (70 FR
49864).
The final regulations under section 951(a) of the Internal Revenue
Code (Code) provide guidance for determining a United States
shareholder's pro rata share of a controlled foreign corporation's
(CFC's) subpart F income, previously excluded subpart F income
withdrawn from investment in less developed countries, and previously
excluded subpart F income withdrawn from foreign base company shipping
operations.
DATES: This correction is effective August 25, 2005.
FOR FURTHER INFORMATION CONTACT: Jeffrey L. Vinnik, (202) 622-3840 (not
a toll-free number).
SUPPLEMENTARY INFORMATION:
Background
The final regulations (TD 9222) that are the subject of this
correction are under section 951(a) of the Internal Revenue Code.
Need for Correction
As published, the final regulations (TD 9222) contain an error that
may prove to be misleading and is in need of clarification.
Correction of Publication
0
Accordingly, the publication of the final regulations (TD 9222), which
was the subject of FR Doc. 05-16611, is corrected as follows:
0
On page 49864, column 2, in the preamble under the paragraph heading,
``A. Amounts Determined Under Section 956 of the Code'' second
paragraph, line 4, the language ``to section 956 under Sec. 1.951-
(1)(e).'' is corrected to read ``to section 956 under Sec. 1.951-
1(e).''.
Cynthia E. Grigsby,
Acting Chief, Publications and Regulations Branch, Legal Processing
Division, Associate Chief Counsel, (Procedure and Administration).
[FR Doc. 05-22262 Filed 11-8-05; 8:45 am]
BILLING CODE 4830-01-P