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Weighted Average Interest Rate Update Notice 2002 9 Notice 88 73 provides guidelines for determining the weighted average interest rate and the resulting permissible range of interest rates used to
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25 percent and the weighted average yield on the 30-year Treasury Constant Maturity is 6.55 percent. This weighted average yield factor appears in Notice 88, which provides guidance for the application of the formula to the current liability and to any other liability, or any combination of liabilities, of the IRS. On the basis of the weighted average interest for December 2001, the weighted average interest rate for December 2002 is 6.65 percent, which would result in an annual allowable maximum for full funding of 3,500,000. The IRS uses this maximum for application of the full funding limitation, and, by contrast, the Treasury may use this limit as part of its authority to impose a “deficiency limitation” on a Treasury loan or other extension of credit under section 413. See also Note (3), below, relating to “Federal Interagency Council on Taxation.” The Department of Labor may use this maximum to avoid a “deficiency” under sections 313 and 314 of the Consolidated Omnibus Budget Reconciliation Act of 1986. See Also: Pub. L. No. 95-452, Title VIII, §802.2, 85 Stat. 1242. §668.21 Definitions. For purposes of sections 501 and 511 of the Internal Revenue Code of 1986, the following definitions are used: (a) “Taxpayer liability” means a taxpayer's liability under section 707 (and the resulting liability under section 707(a)) (see Notice 88, pages 1.2, 1.3, 1.4, 1.5, 1.3(k), 1.2(d), 1.1(a), (b)(1)(vi), 1.1(d), and 1.2(c)). (b) “Income” is the gross income of a taxpayer. (c) “Taxable period” means the 12-month period described in section 707(b)(1), and any fractional period of the year. (d) A portion of a taxpayer's tax liability shall be treated as accrued under section 707(a), but a portion shall not be treated as accrued under section 703, for purposes of determining the tax liability of the taxpayer. (e) A period of any month during which a tax liability is not accrued shall not be treated as a part of the year. (f) “Period” means a calendar month.

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Notice 9 - weighted refers to a form or document used to report weighted assets, which is a measure of risk for financial institutions.
Financial institutions such as banks and other regulated entities are usually required to file notice 9 - weighted.
The specific instructions for filling out notice 9 - weighted may vary depending on the jurisdiction or governing body. It is advisable to consult the relevant regulations or guidelines for accurate guidance.
The purpose of notice 9 - weighted is to provide a standardized reporting framework for financial institutions to disclose their risk-weighted assets, allowing regulators and stakeholders to assess the financial institution's risk profile.
The specific information required to be reported on notice 9 - weighted may vary depending on the jurisdiction or governing body. Generally, it includes details of a financial institution's risk-weighted assets, such as different types of assets, their associated risk weights, and any applicable adjustments.
The deadline to file notice 9 - weighted in 2023 may vary depending on the jurisdiction or governing body. It is advisable to consult the relevant regulations or guidelines to determine the specific deadline.
The penalty for the late filing of notice 9 - weighted may vary depending on the jurisdiction or governing body. It is advisable to consult the relevant regulations or guidelines to determine the specific penalty.
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