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26 CFR 601.105: Examination of returns and claims for refund, credit or abatement; determination of correct tax liability. (Also: Part I, 6011, 6112; 1.6011 4, 301.6112 1.) Rev. Pro. 2004 68 SECTION
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Revenue Procedure 68 provides guidance on the procedures to request a letter ruling from the Internal Revenue Service (IRS). It outlines the process and requirements for obtaining a ruling on certain tax matters.
Revenue Procedure 68 is not something that needs to be filed by taxpayers. It is a guideline provided by the IRS for taxpayers who wish to request a letter ruling on specific tax matters.
Revenue Procedure 68 itself is not a form or document that needs to be filled out. It provides instructions and guidance on how to request a letter ruling from the IRS. To request a letter ruling, taxpayers need to follow the procedures outlined in the revenue procedure and submit the required information and documents as specified by the IRS.
The purpose of Revenue Procedure 68 is to provide a clear framework for taxpayers who want to request a letter ruling from the IRS. It establishes the procedures and requirements for obtaining a ruling on tax matters, ensuring consistency and uniformity in the IRS's response to similar requests.
Revenue Procedure 68 itself does not require any information to be reported. It provides guidance on how to request a letter ruling from the IRS, and the information to be reported in the request may vary depending on the specific tax matter for which the ruling is sought. Taxpayers should refer to the revenue procedure and any related IRS instructions for the specific requirements.
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