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Letter Ruling 96-6: Is a Sale Leaseback Financing Transaction. Subject to Massachusetts Sales and Use Tax The Official Website of the Department of Revenue (FOR) Mass. Gov Home FOR Home State Agencies
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Letter ruling 96-6 is an official written statement issued by the IRS that interprets and applies the tax laws to a specific set of facts and circumstances.
Any taxpayer who seeks clarity on the tax treatment of a particular issue can request a letter ruling 96-6 from the IRS. It can be individuals, businesses, or organizations.
To fill out letter ruling 96-6, the taxpayer needs to submit a written request to the IRS, providing detailed information about the specific issue or transaction they need guidance on. The request should include relevant facts, applicable laws and regulations, and any supporting documents.
The purpose of letter ruling 96-6 is to provide taxpayers with guidance and certainty regarding the tax consequences of a particular transaction or issue. It helps taxpayers make informed decisions and ensures consistent application of tax laws.
The information required to be reported on letter ruling 96-6 depends on the specific issue or transaction being addressed. It typically includes detailed facts, relevant legal citations, and any supporting documents necessary for the IRS to make an informed determination.
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