IRS ADDS CONTROLLED CORPORATION STOCK DISTRIBUTIONS TO NO-RULE LIST.
Rev. Proc. 96-39; 1996-2 C.B. 300
- Institutional AuthorsInternal Revenue Service
- Cross-Reference
Rev. Proc. 96-3, 1996-1 IRB 82
Communications Division
Part III
Administrative, Procedural, and Miscellaneous
26 CFR 601.201: Rulings and determination letters.
(Also sections 355; 1.355-2.)
- Code Sections
- Subject Areas/Tax Topics
- Index Termsreorganizations, controlled firm stock
- Jurisdictions
- LanguageEnglish
- Tax Analysts Document NumberDoc 96-20914 (3 original pages)
- Tax Analysts Electronic Citation96 TNT 144-7
Superseded by Rev. Proc. 97-3
Rev. Proc. 96-39
SECTION 1. PURPOSE
This Revenue Procedure amplifies Rev. Proc. 96-3, 1996-1 I.R.B. 82, which sets forth the areas of the Internal Revenue Code under the jurisdiction of the Associate Chief Counsel (Domestic) and the Associate Chief Counsel (Employee Benefits and Exempt Organizations) relating to issues on which the Internal Revenue Service will not issue advance rulings or determination letters.
SECTION 2. BACKGROUND
Section 5 of Rev. Proc. 96-3 sets forth those areas under extensive study in which rulings or determination letters will not be issued until the Service resolves the issue through publication of a revenue ruling, revenue procedure, regulations or otherwise. Section 355(a) of the Internal Revenue Code applies to distributions to a shareholder with respect to stock, or to a security holder in exchange for securities, of stock or securities of a corporation controlled by the distributing corporation immediately before the distribution. In cases in which there have been negotiations, agreements or arrangements with respect to transactions or events which, if consummated before the distribution, would result in the distribution of stock or securities of a corporation which is not controlled by the distributing corporation, the Service intends to study further the proper evaluation of the facts and circumstances to determine whether the requirements of section 355 are satisfied.
SECTION 3. PROCEDURE
Rev. Proc. 96-3 is amplified by adding to Section 5 the following:
Section 355.--Distribution of Stock or Securities of a Controlled Corporation.-- Whether a distribution of stock or securities is described in section 355(a)(1) if there have been negotiations, agreements or arrangements with respect to transactions or events which, if treated as consummated before the distribution, would result in the distribution of stock or securities of a corporation which is not controlled by the distributing corporation (or, if stock is retained by the distributing corporation, in a distribution of an amount of stock not constituting control).
SECTION 4. EFFECTIVE DATE
This revenue procedure will apply to all ruling requests postmarked or, if not mailed, received on or after July 23, 1996.
FURTHER INFORMATION
For further information regarding this Revenue Procedure contact Bonnie O'Brien of the Office of Assistant Chief Counsel (Corporate) at (202) 622-7790 (not a toll-free call).
- Institutional AuthorsInternal Revenue Service
- Cross-Reference
Rev. Proc. 96-3, 1996-1 IRB 82
Communications Division
Part III
Administrative, Procedural, and Miscellaneous
26 CFR 601.201: Rulings and determination letters.
(Also sections 355; 1.355-2.)
- Code Sections
- Subject Areas/Tax Topics
- Index Termsreorganizations, controlled firm stock
- Jurisdictions
- LanguageEnglish
- Tax Analysts Document NumberDoc 96-20914 (3 original pages)
- Tax Analysts Electronic Citation96 TNT 144-7