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04 In general this revenue procedure provides guidance in determining when disclosure is adequate for purposes of 6662 d. For purposes of this revenue procedure the taxpayer must furnish all required information in accordance with the applicable forms. and instructions and the money amounts entered on these forms must be verifiable. Guidance under 6662 d for returns filed in 1994 1995 and 1996 is provided in Rev. Proc. 94 36 1994 1 C.
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How to fill out Rev. Proc. 96-58

01
Gather all necessary financial records and documentation related to the tax issues you are addressing.
02
Review Rev. Proc. 96-58 to understand its requirements and provisions.
03
Complete the appropriate forms that may be referenced in the revenue procedure.
04
Clearly state the facts and circumstances surrounding your tax situation in a detailed manner.
05
Ensure compliance with all prerequisites outlined in the procedure, including any relevant deadlines.
06
Prepare a cover letter that summarizes your request and references Rev. Proc. 96-58.
07
Submit the completed forms and cover letter to the appropriate IRS office as instructed in the procedure.

Who needs Rev. Proc. 96-58?

01
Individuals and businesses seeking relief from certain tax penalties or issues.
02
Taxpayers who have unfiled tax returns or who need to comply with specific IRS requirements.
03
Those who want to rectify their tax situations under the guidelines provided by Rev. Proc. 96-58.
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Revenue procedures are published in the Internal Revenue Bulletin & Cumulative Internal Revenue Bulletin. This link is to a list of sources (print and online) offering the Internal Revenue Bulletin & Cumulative Internal Revenue Bulletin.
The Internal Revenue Bulletin (I.R.B.) is published weekly and compiled semi-annually into the Cumulative Bulletin (C.B.).
Generally, an IRS PLR takes about 6-12 months to process for review and approval if approved an additional 6-12 months can be necessary for the delivery of the PLR to you or your representative if you are not in possession of it already.
IRC § 6651(h). 10 IRC § 6651(c)(1). When both the failure to file and failure to pay penalties are accruing simultaneously, the failure to file will max out at 22.5 percent and the failure to pay will max out at 2.5 percent, thereby abiding by the 25 percent maximum limitation.
2025-1, increase for requests submitted after February 1, 2025: Fees for private letter ruling requests increase from $38,000 to $43,700. Reduced fees for certain “small” organizations increase from $3,000 to $3,450 and from $8,500 to $9,775.
Revenue ruling Revenue rulings are published in the Internal Revenue Bulletin for the information of and guidance to taxpayers, IRS personnel and tax professionals.
Updated annually . 02 This revenue procedure is updated annually as the first revenue procedure of the year, but it may be modified, amplified or clarified during the year.
Revenue rulings are published in the Internal Revenue Bulletin & Cumulative Internal Revenue Bulletin.

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Rev. Proc. 96-58 is a revenue procedure issued by the IRS that provides guidance on certain tax compliance matters, specifically regarding the procedures for the qualification of certain tax credits, deductions, and other tax benefits.
Taxpayers who are seeking to claim specific tax benefits as outlined in the revenue procedure are required to file Rev. Proc. 96-58.
To fill out Rev. Proc. 96-58, taxpayers should follow the detailed instructions provided in the procedure, ensuring they provide all required information, including eligibility details and relevant documentation.
The purpose of Rev. Proc. 96-58 is to establish a clear framework for taxpayers to follow when they seek to obtain certain tax benefits, ensuring compliance and providing clarity on the qualifications needed.
Taxpayers must report information regarding their eligibility for the tax benefits being claimed, along with any additional supporting documentation as required by the procedure.
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