Internal Revenue Service July 24, 2019 – Federal Register Recent Federal Regulation Documents

Proposed Collection; Comment Request for Form 4506-T and 4506-C
Document Number: 2019-15705
Type: Notice
Date: 2019-07-24
Agency: Internal Revenue Service, Department of Treasury, Department of the Treasury
The Internal Revenue Service, as part of its continuing effort to reduce paperwork and respondent burden, invites the general public and other Federal agencies to take this opportunity to comment on proposed and/or continuing information collections, as required by the Paperwork Reduction Act of 1995. Currently, the IRS is soliciting comments concerning Form 4506-T, Request for Transcript of Return and 4506-C, IVES Request for Transcript of Tax Return.
Withholding of Tax and Information Reporting With Respect to Interests in Partnerships Engaged in the Conduct of a U.S. Trade or Business; Hearing
Document Number: 2019-15676
Type: Proposed Rule
Date: 2019-07-24
Agency: Internal Revenue Service, Department of Treasury, Department of the Treasury
This document provides a notification of public hearing on proposed regulations to implement certain sections of the Internal Revenue Code, including sections added to the Internal Revenue Code by the Tax Cuts and Jobs Act, that relate to the withholding of tax and information reporting with respect to certain dispositions of interests in partnerships engaged in the conduct of a trade or business within the United States.
Allocation of Creditable Foreign Taxes
Document Number: 2019-15362
Type: Rule
Date: 2019-07-24
Agency: Internal Revenue Service, Department of Treasury, Department of the Treasury
This document contains final regulations with respect to a provision of the Internal Revenue Code (Code) that addresses the allocation by a partnership of foreign income taxes. These regulations are necessary to improve the operation of an existing safe harbor rule that determines whether allocations of creditable foreign tax expenditures are deemed to be in accordance with the partners' interests in the partnership. The regulations affect partnerships that pay or accrue foreign income taxes and partners in such partnerships.
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