Download presentation
Presentation is loading. Please wait.
Published bySusanna McDonald Modified over 9 years ago
1
Federal Tax Hierarchies & Transactional Law Research Paul D. Callister, JD, MSLIS Director of the Leon E. Bloch Law Library & Associate Professor of Law University of Missouri-Kansas City School of Law http://www1.law.umkc.edu/faculty/callister/bootcamp/ppt/tax.ppt © 2005, Paul D. Callister
2
Primary Authority (Caselaw) InstitutionReportedBinding Upon Supreme CourtSupreme Court Reporter/US Tax Cases Parties and as precedent for all courts Courts of Appeals Federal Reporter/US Tax Cases Parties and as precedent for all courts of that circuit including cases before Tax Court District Court/Court of Claims Federal Supplement/US Tax Cases Parties and as precedent for that district (including Tax Court) Tax CourtTax Court Reports Tax Court Memo Parties and as precedent in Tax Court (unless other Fed. Court decided). Tax Court Reports are cases of first impression. Tax Court Memo for cases where the issue is how to apply settled law.
3
Acquiescence v. Non-Acquiescence
4
Deficiency Notice 90-Day Letter To Pay or Not to Pay Pay Tax and File Claim for Refund Not Pay & Petition Tax Ct. Notice of Claim Disallowance Choice of Action File Petition Tax Court Fed. Court of Claims Fed. Dist. Court Court of Appeals for your Circuit Court of Appeals for Fed. Circuit U.S. Supreme Ct.
5
Weight IRS National Office Treasury Institution An official position as to application of the Code or Regulations to a specific situation (usually submitted by taxpayer). “Second in importance to regulations.” Internal Revenue Bulletin (Cum. Bulletin). Published by CCH, Mertens, etc. Revenue Ruling No binding effect until made final (after hearings and comment period). Does give guidance as to IRS’ interpretation. Proposed Regulations (TDs) Issued for immediate guidance to tax papers as a result of new legislation. Issued without hearing or comment period. Three year expiration date. Must issue proposed regulations at the same time. Not binding if court finds to be an incorrect interpretation of tax code. Temporary Regulations (TDs) Treasury (IRS) interpretation of tax code (“general regulations”) or law-making function (“legislative regulations”) delegated by code. Difficult to challenge in court. Legislative regulations bear the greatest precedential value of any IRS pronouncement.” Federal Register, & Code of Federal Regulations. Final regulations are also published in the Internal Revenue Bulletin (which is bound as the Cumulative Bulletin). Also published by CCH, Mertens, etc. Internal Revenue Bulletin Treasury Regulations, aka Treasury Decisions or TDs (Final Regs) Binding upon/Who’s it forReported inDocument Primary Authority (Regulations & Rulings)
6
Weight IRS National Office Treasury Institution An official position as to application of the Code or Regulations to a specific situation (usually submitted by taxpayer). “Second in importance to regulations.” Internal Revenue Bulletin (Cum. Bulletin). Published by CCH, Mertens, etc. Revenue Ruling No binding effect until made final (after hearings and comment period). Does give guidance as to IRS’ interpretation. Proposed Regulations (TDs) Issued for immediate guidance to tax papers as a result of new legislation. Issued without hearing or comment period. Three year expiration date. Must issue proposed regulations at the same time. Not binding if court finds to be an incorrect interpretation of tax code. Temporary Regulations (TDs) Treasury (IRS) interpretation of tax code (“general regulations”) or law-making function (“legislative regulations”) delegated by code. Difficult to challenge in court. Legislative regulations bear the greatest precedential value of any IRS pronouncement.” Federal Register, & Code of Federal Regulations. Final regulations are also published in the Internal Revenue Bulletin (which is bound as the Cumulative Bulletin). Also published by CCH, Mertens, etc Internal Revenue Bulletin Treasury Regulations, aka Treasury Decisions or TDs (Final Regs) Binding upon/Who’s it forReported inDocument Primary Authority (Regulations & Rulings)
7
Weight IRS National Office Treasury Institution An official position as to application of the Code or Regulations to a specific situation (usually submitted by taxpayer). “Second in importance to regulations.” Internal Revenue Bulletin (Cum. Bulletin). Published by CCH, Mertens, etc. Revenue Ruling No binding effect until made final (after hearings and comment period). Does give guidance as to IRS’ interpretation. Proposed Regulations (TDs) Issued for immediate guidance to tax papers as a result of new legislation. Issued without hearing or comment period. Three year expiration date. Must issue proposed regulations at the same time. Not binding if court finds to be an incorrect interpretation of tax code. Temporary Regulations (TDs) Treasury (IRS) interpretation of tax code (“general regulations”) or law-making function (“legislative regulations”) delegated by code. Difficult to challenge in court. Legislative regulations bear the greatest precedential value of any IRS pronouncement.” Federal Register, & Code of Federal Regulations. Final regulations are also published in the Internal Revenue Bulletin (which is bound as the Cumulative Bulletin). Also published by CCH, Mertens, etc Internal Revenue Bulletin Treasury Regulations, aka Treasury Decisions or TDs (Final Regs) Binding upon/Who’s it forReported inDocument Primary Authority (Regulations & Rulings)
8
Weight IRS National Office Treasury Institution An official position as to application of the Code or Regulations to a specific situation (usually submitted by taxpayer). “Second in importance to regulations.” Internal Revenue Bulletin (Cum. Bulletin). Published by CCH, Mertens, etc. Revenue Ruling No binding effect until made final (after hearings and comment period). Does give guidance as to IRS’ interpretation. Proposed Regulations (TDs) Issued for immediate guidance to tax papers as a result of new legislation. Issued without hearing or comment period. Three year expiration date. Must issue proposed regulations at the same time. Not binding if court finds to be an incorrect interpretation of tax code. Temporary Regulations (TDs) Treasury (IRS) interpretation of tax code (“general regulations”) or law-making function (“legislative regulations”) delegated by code. Difficult to challenge in court. Legislative regulations bear the greatest precedential value of any IRS pronouncement.” Federal Register, & Code of Federal Regulations. Final regulations are also published in the Internal Revenue Bulletin (which is bound as the Cumulative Bulletin). Also published by CCH, Mertens, etc Internal Revenue Bulletin Treasury Regulations, aka Treasury Decisions or TDs (Final Regs) Binding upon/Who’s it forReported inDocument Primary Authority (Regulations & Rulings)
9
Requested by IRS agent with respect to prior event or a completed transaction (which local office couldn’t resolve). Commercial PublisherTechnical Advice Memo Same as a Private Letter Ruling except issued by a local office. FOIADetermination Letter Nonbinding ruling (except between IRS and applicant) requested by taxpayer on a specific issue from the IRS National Office. Commercial PublisherPrivate Letter Ruling Internal Revenue Bulletin (Cumulative Bulletin). Also published by CCH, Mertens, etc. IRS National Office Commercial Publisher Institution Requested by IRS from its own legal counsel with respect to preparing letter or revenue rulings. General Counsel’s Memo (“FSA”) Official procedures for IRS and practitioners making filings or seeking rulings or information from the IRS. Revenue Procedure Binding Upon/Who’s it forReported inDocument Primary Authority (Regulations & Rulings Cont.)
10
InstitutionDocumentReported inBinding Upon/Who’s it for IRS National Office Revenue Procedure Internal Revenue Bulletin (Cumulative Bulletin). Published by CCH, Mertens, etc. Official procedures for IRS and practitioners making filings or seeking rulings or information from the IRS. Private Letter Ruling Commercial PublisherNonbinding ruling (except between IRS and applicant) requested by taxpayer on a specific issue from the IRS National Office. Determination Letter FOIASame as a Private Letter Ruling except issued by a local office. Technical Advice Memo Commercial PublisherRequested by IRS agent with respect to prior event or a completed transaction (which local office couldn’t resolve). General Counsel’s Memo (“FSA”) Commercial PublisherRequested by IRS from its own legal counsel with respect to preparing letter or revenue rulings.
11
Primary Authority (Regulations & Rulings Cont.) InstitutionDocumentReported inBinding Upon/Who’s it for IRS National Office Revenue Procedure Internal Revenue Bulletin (Cumulative Bulletin). Published by CCH, Mertens, etc. Official procedures for IRS and practitioners making filings or seeking rulings or information from the IRS. Private Letter Ruling Commercial PublisherNonbinding ruling (except between IRS and applicant) requested by taxpayer on a specific issue from the IRS National Office. Determination Letter FOIASame as a Private Letter Ruling except issued by a district office. Technical Advice Memo Commercial PublisherRequested by IRS agent with respect to prior event or a completed transaction (which local office couldn’t resolve). General Counsel’s Memo (“FSA”) Commercial PublisherRequested by IRS from its own legal counsel with respect to preparing letter or revenue rulings.
12
Primary Authority (Regulations & Rulings Cont.) InstitutionDocumentReported inBinding Upon/Who’s it for IRS National Office Revenue Procedure Internal Revenue Bulletin (Cumulative Bulletin). Published by CCH, Mertens, etc. Official procedures for IRS and practitioners making filings or seeking rulings or information from the IRS. Private Letter Ruling Commercial PublisherNonbinding ruling (except between IRS and applicant) requested by taxpayer on a specific issue from the IRS National Office. Determination Letter FOIASame as a Private Letter Ruling except issued by a local office. Technical Advice Memo Commercial PublisherRequested by IRS agent with respect to prior event or a completed transaction (which local office couldn’t resolve). General Counsel’s Memo (“FSA”) Commercial PublisherRequested by IRS from its own legal counsel with respect to preparing letter or revenue rulings.
13
Primary Authority (Regulations & Rulings Cont.) InstitutionDocumentReported inBinding Upon/Who’s it for IRS National Office Revenue Procedure Internal Revenue Bulletin (Cumulative Bulletin). Published by CCH, Mertens, etc. Official procedures for IRS and practitioners making filings or seeking rulings or information from the IRS. Private Letter Ruling Commercial PublisherNonbinding ruling (except between IRS and applicant) requested by taxpayer on a specific issue from the IRS National Office. Determination Letter FOIASame as a Private Letter Ruling except issued by a local office. Technical Advice Memo Commercial PublisherRequested by IRS agent with respect to prior event or a completed transaction (which local office couldn’t resolve). General Counsel’s Memo (FSA) Commercial PublisherRequested by IRS from its own legal counsel with respect to preparing letter or revenue rulings.
14
Other IRS Documents Publications Notices Acquiescence and Non-acquiescence noticesAcquiescence and Non-acquiescence notices Internal Revenue Manual
15
Institutional Process Authoritative/ Primary Documents Access Tools Tax Research Institution Secondary Documents Commercial Publishers
16
Code BasedSubject BasedHandbookNews & Awareness
17
Code BasedSubject BasedHandbookNews & Awareness
18
Code BasedSubject BasedHandbookNews & Awareness
19
Code BasedSubject BasedHandbookNews & Awareness
20
Code BasedSubject BasedHandbookNews & Awareness
21
Code BasedSubject BasedHandbookNews & Awareness
22
Code BasedSubject BasedHandbookNews & Awareness
23
Code BasedSubject BasedHandbookNews & Awareness
24
Code BasedSubject BasedHandbookNews & Awareness
25
Code BasedSubject BasedHandbookNews & Awareness
26
Code BasedSubject BasedHandbookNews & Awareness
27
Code BasedSubject BasedHandbookNews & Awareness
28
How do I...
29
1.... find a sample limited liability company operating agreement in print? On Westlaw? On Westlaw
30
2.... find a sample contract of sale for a restaurant business in print? On lexis? On Lexis
31
3.... determine the minimum filing requirements for a small private placement offering in California? On Lexis On Westlaw
32
4.... form a corporation in Nevada? Legal Information Institute--Listing by Jurisdiction http://www.law.cornell.edu/states/listing.html LexisOne State Resource Locator LexisOne State Resource Locator www.lexisone.com/legalresearch/legalguide/states/states_reso urces_index.htm What kind of search?kind of search
33
LexisOne Forms http://www.lexisone.com/ legalresearch/legalguide/ online_forms/forms_center _index.htm Findlaw Forms http://forms.lp. Findlaw Formshttp://forms.lp findlaw.com/ On Westlaw On Lexis 5.... find a sample Missouri revocable trust in print? On Lexis? On Westlaw? On the Web?
34
6.... use looseleaf services like CCH Standard Federal Tax Reporter and RIA ? Online? On CCH On RIA
35
7.... understand the “control group rules” under IRC § 1563? On CCH On RIA On Lexis
36
8..... understand Qualified Domestic Relations Orders (QDROs) and how to draft them? On CCHOn RIAOn Lexis
37
9.... research all relevant tax cases similar to the Federal Second Circuit case, Caplin v. US? On CCHOn RIAOn LexisOn Westlaw
38
10.... find Form 706 (federal estate tax return)? Find the equivalent state return in Maine? http://www.IRS.gov http://www.taxadmin.org/fta/link/forms.html
39
11.... find private letter rulings? On CCHOn RIAOn LexisOn Westlaw
40
12.... find tax rates and the “Applicable Federal Rate”? http://www.IRS.gov
41
The End
Similar presentations
© 2025 SlidePlayer.com. Inc.
All rights reserved.