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Rulemaking
» Income of Foreign Governments and International Organizations
Income of Foreign Governments and International Organizations
Document ID:
IRS-2011-0037-0001
Document Type:
Proposed Rule
Agency:
Internal Revenue Service
Topics:
Income Taxes, Reporting and Recordkeeping Requirements
Federal Register Number:
2011-28531
CFR Citation:
26 CFR Parts 1 and 602
View Document:
Details Information
Document Subtype:
Notice of Proposed Rulemaking (NPRM)
Received Date:
November 03 2011, at 12:00 AM Eastern Daylight Time
Start-End Page:
68119 - 68124
Comment Start Date:
November 3 2011, at 12:00 AM Eastern Standard Time
Comment Due Date:
February 1 2012, at 11:59 PM Eastern Standard Time
Comments
View All
Total:
8
Comment on FR Doc # 2011-28531
Submitter:
Dick, Brett
Posted:
01/30/2012
ID:
IRS-2011-0037-0003
Comment Period Closed
Feb 01,2012 11:59 PM ET
Comment on FR Doc # 2011-28531
Submitter:
Attiga, Najwa
Posted:
01/31/2012
ID:
IRS-2011-0037-0004
Comment Period Closed
Feb 01,2012 11:59 PM ET
Comment on FR Doc # 2011-28531
Submitter:
DiFronzo, Michael
Posted:
02/03/2012
ID:
IRS-2011-0037-0005
Comment Period Closed
Feb 01,2012 11:59 PM ET
Comment on FR Doc # 2011-28531
Submitter:
Blanchard, Kimberly
Posted:
02/03/2012
ID:
IRS-2011-0037-0006
Comment Period Closed
Feb 01,2012 11:59 PM ET
Income of Foreign Governments and International Organizations
Submitter:
Paul, William
Posted:
04/09/2012
ID:
IRS-2011-0037-0007
Comment Period Closed
Feb 01,2012 11:59 PM ET
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Total:
28
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Guidance Regarding Deferred Discharge of Indebtedness Income of Corporations and Deferred Original Issue Discount Deductions
Application of Section 108(i) to Partnerships and S Corporations
Qualified Zone Academy Bonds: Obligations of States and Political Subdivisions
Extended Carryback of Losses to or from a Consolidated Group
Modification to Consolidated Return Regulation Permitting an Election: Liquidation of a Target, Followed by a Recontribution to a New Target, as a Cross-Chain Reorganization; Correction
Modifications of Commercial Mortgage Loans Held by a Real Estate Mortgage Investment Conduit (REMIC)
Modification to Consolidated Return Regulation Permitting an Election: Liquidation of a Target, Followed by a Recontribution to a New Target, as a Cross-Chain Reorganization
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Gain Recognition Agreements with Respect to Certain Transfers of Stock or Securities by United States Persons to Foreign Corporations
Income of Foreign Governments and International Organizations
Details Information
Comments
View AllSubmitter: Dick, Brett Posted: 01/30/2012 ID: IRS-2011-0037-0003
Feb 01,2012 11:59 PM ET
Submitter: Attiga, Najwa Posted: 01/31/2012 ID: IRS-2011-0037-0004
Feb 01,2012 11:59 PM ET
Submitter: DiFronzo, Michael Posted: 02/03/2012 ID: IRS-2011-0037-0005
Feb 01,2012 11:59 PM ET
Submitter: Blanchard, Kimberly Posted: 02/03/2012 ID: IRS-2011-0037-0006
Feb 01,2012 11:59 PM ET
Submitter: Paul, William Posted: 04/09/2012 ID: IRS-2011-0037-0007
Feb 01,2012 11:59 PM ET
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