News
The IRS has published a private letter ruling on IRC §2601 stating that the proposed merger of the taxpayer’s exempt trust into his spouse exempt trust will not affect the ...
The IRS has published a private letter ruling on IRC §1295 and Treas. Reg. §1.1295-3(f), granting the taxpayer consent to make a retroactive qualified electing fund (QEF) election with respect ...
Some results have been hidden because they may be inaccessible to you
Show inaccessible results