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» Damages Received on Account of Personal Physical Injuries or Physical Sickness
Damages Received on Account of Personal Physical Injuries or Physical Sickness
Document ID:
IRS-2009-0023-0001
Document Type:
Proposed Rule
Agency:
Internal Revenue Service
Topics:
Income Taxes, Reporting and Recordkeeping Requirements
Federal Register Number:
E9-22221
CFR Citation:
26 CFR 1
View Document:
Details Information
Document Subtype:
NPRM
Received Date:
September 15 2009, at 12:03 PM Eastern Daylight Time
Start-End Page:
47152 - 47154
Comment Start Date:
September 15 2009, at 12:00 AM Eastern Standard Time
Comment Due Date:
December 14 2009, at 11:59 PM Eastern Standard Time
Comments
View All
Total:
14
Damages Received on Account of Personal Physical Injuries or Physical Sickness
Submitter:
Jensen, Erik
Posted:
10/02/2009
ID:
IRS-2009-0023-0002
Comment Period Closed
Dec 14,2009 11:59 PM ET
Damages Received on Account of Personal Physical Injuries or Physical Sickness
Submitter:
Risk, Richard
Posted:
10/02/2009
ID:
IRS-2009-0023-0003
Comment Period Closed
Dec 14,2009 11:59 PM ET
Comment on FR Doc # E9-22221
Submitter:
Unknown 1
Posted:
11/10/2009
ID:
IRS-2009-0023-0004
Comment Period Closed
Dec 14,2009 11:59 PM ET
Comment on FR Doc # E9-22221
Submitter:
McCulloch, John
Posted:
11/20/2009
ID:
IRS-2009-0023-0005
Comment Period Closed
Dec 14,2009 11:59 PM ET
Comment on FR Doc # E9-22221
Submitter:
Tarricone, Anthony
Posted:
12/14/2009
ID:
IRS-2009-0023-0006
Comment Period Closed
Dec 14,2009 11:59 PM ET
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Total:
26
Use of Controlled Corporations To Avoid the Application of Section 304
Use of Controlled Corporations To Avoid the Application of Section 304
Apportionment of Tax Items Among the Members of a Controlled Group of Corporations
Reduction in Taxable Income for Housing Hurricane Katrina Displaced Individuals
Employee Stock Purchase Plans Under Internal Revenue Code Section 423
Information Reporting Requirements Under Internal Revenue Code Section 6039
Determination of Interest Expense Deduction of Foreign Corporations; Correction
Election of Reduced Research Credit Under Section 280C(c)(3); Hearing Cancellation
Contingent Fees Under Circular 230; Hearing Cancellation
Application of Separate Limitations to Dividends From Noncontrolled Section 902 Corporations; Correction
Information Reporting for Discharges of Indebtedness
Treatment of Services Under Section 482; Allocation of Income and Deductions From Intangible Property; Apportionment of Stewardship Expense; Correction
Treatment of Services Under Section 482; Allocation of Income and Deductions From Intangible Property; Apportionment of Stewardship Expense; Correction
Reasonable Good Faith Interpretation of Required Minimum Distribution Rules by Governmental Plans
Notification Requirement for Tax-Exempt Entities Not Currently Required To File
Election of Reduced Research Credit Under Section 280C(c)(3)
Guidance Regarding Foreign Base Company Sales Income
Guidance Under Section 7874 Regarding Surrogate Foreign Corporations
Guidance Under Section 7874 Regarding Surrogate Foreign Corporations
Information Reporting for Lump-Sum Timber Sales
Guidance Necessary To Facilitate Business Election Filing; Finalization of Controlled Group Qualification Rules
Allocation and Reporting of Mortgage Insurance Premiums
Allocation and Reporting of Mortgage Insurance Premiums
Determination of Distributive Share When a Partner's Interest Changes
Guidance Regarding Foreign Base Company Sales Income; Hearing Cancellation
Value of Life Insurance Contracts When Distributed From a Qualified Retirement Plan; Correction
Damages Received on Account of Personal Physical Injuries or Physical Sickness
Details Information
Comments
View AllSubmitter: Jensen, Erik Posted: 10/02/2009 ID: IRS-2009-0023-0002
Dec 14,2009 11:59 PM ET
Submitter: Risk, Richard Posted: 10/02/2009 ID: IRS-2009-0023-0003
Dec 14,2009 11:59 PM ET
Submitter: Unknown 1 Posted: 11/10/2009 ID: IRS-2009-0023-0004
Dec 14,2009 11:59 PM ET
Submitter: McCulloch, John Posted: 11/20/2009 ID: IRS-2009-0023-0005
Dec 14,2009 11:59 PM ET
Submitter: Tarricone, Anthony Posted: 12/14/2009 ID: IRS-2009-0023-0006
Dec 14,2009 11:59 PM ET
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