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This ruling classifies typical stand-alone gasoline pump canopies as tangible personal property includible in asset class 57. 0 of Revenue Procedure 87 56 for depreciation purposes by petroleum marketing that is tangible personal property as listed in section 1. 1245 3 b of the Income Tax Regulations is includible in the asset class 57. 0See Rev. Rul. 2003 54 page 982.
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The Revenue Ruling 56 form is a document issued by the Internal Revenue Service (IRS) in the United States that provides guidance and interpretations on specific tax-related issues or provisions.
There is no specific requirement for individuals or businesses to file the Revenue Ruling 56 form. However, taxpayers who need clarity or guidance on a particular tax issue can request a ruling from the IRS using this form.
The Revenue Ruling 56 form is not filled out by taxpayers. It is used by the IRS to provide written determinations regarding the tax treatment of specific situations or transactions.
The purpose of the Revenue Ruling 56 form is to provide taxpayers with written interpretations and guidance on tax matters to ensure consistent application of tax laws.
There is no specific information that needs to be reported by taxpayers on the Revenue Ruling 56 form. It is used by the IRS to provide rulings and guidance to taxpayers.
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