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This revenue procedure explains how the Internal Revenue Service provides guidance to taxpayers regarding issues under the jurisdiction of various Associate Chief Counsels. It outlines the procedures
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How to fill out Rev. Proc. 96–1

01
Obtain a copy of Rev. Proc. 96–1 from the IRS website or other official sources.
02
Carefully read the instructions provided in the document to understand the context and requirements.
03
Fill out the required forms as indicated in Rev. Proc. 96–1, ensuring that you provide accurate and complete information.
04
Include any necessary supporting documents or attachments as specified in the procedure.
05
Review your completed forms to ensure all information is correct.
06
Submit the forms to the appropriate IRS office by the specified deadline.

Who needs Rev. Proc. 96–1?

01
Individuals and businesses seeking to ensure compliance with specific tax regulations.
02
Taxpayers looking to claim benefits or reliefs outlined in Rev. Proc. 96–1.
03
Tax professionals advising clients on compliance with IRS procedures.
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People Also Ask about

A private letter ruling (PLR) is a written decision by the Internal Revenue Service (IRS) that is sent in response to a taxpayer's request for guidance on unusual circumstances or complex questions about their specific tax situation. For certain transactions involving large amounts of money, the tax law may be unclear.
A revenue procedure is an official statement of a procedure that affects the rights or duties of taxpayers or other members of the public under the Internal Revenue Code, related statutes, tax treaties and regulations and that should be a matter of public knowledge.
IRS User Fees for APAs Increase but Remain Attractive Fees per Rev. Proc. 2015-41Fees as of 2/1/2024 New APA 60,000 121,600 Renewal APA 35,000 65,900 Small Case APA 30,000 57,500 Amendment 12,500 24,600 Feb 23, 2024
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.
A letter ruling binds only the IRS and the requesting taxpayer, so it may not be cited or relied on for precedent. The IRS does have the option of redacting the text of a private ruling and issuing it as a revenue ruling, which may become binding on all taxpayers and the IRS.
"A private letter ruling, or PLR, is a written statement issued to a taxpayer that interprets and applies tax laws to the taxpayer's specific set of facts . . . A PLR is issued in response to a written request submitted by a taxpayer . . ." ( IRS Website)

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Rev. Proc. 96–1 is a revenue procedure issued by the IRS that provides guidance on certain tax matters, including how taxpayers can apply for a letter ruling or a determination for issues related to their tax affairs.
Taxpayers who seek a ruling or determination from the IRS regarding specific tax issues, as outlined in the procedure, are required to file under Rev. Proc. 96–1.
To fill out Rev. Proc. 96–1, taxpayers must complete the required forms following the detailed instructions provided within the revenue procedure, including providing all necessary documentation and fees.
The purpose of Rev. Proc. 96–1 is to streamline the process for requesting letter rulings and determinations from the IRS, ensuring taxpayers have clear guidelines on how to proceed.
Taxpayers must report relevant facts regarding their tax situation, the specific issue for which they are seeking guidance, and any supporting documentation required by the IRS within the framework of Rev. Proc. 96–1.
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