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Federal Tax ResearchProfessor Lisa Smith-Butler
Advanced Legal ResearchFall 2014
Many thanks to Professor Gail Levin Richmond at Nova Southeastern University Shepard Broad Law Center for guiding me through the thicket of tax research
Federal Tax Research
The US Constitution article 1 Sec8cl 1 empowers the US Congress to lay and collect Taxes Duties Imposts and Excises and to pay the debts and provide for the common Defense and generalWelfare of the United States But all Duties Imposts and Excises shall be uniform Throughout the United States
How do I start a tax research project
If you have a citation or popular name go directly to Title 26 (Internal Revenue Code) of the Code
If you know very little about the topic and want to begin to familiarize yourself select a secondary resource to assist
Secondary Sources
Secondary sources that will help explain tax research materials and techniques includeBarkan Steve ed et al Federal Tax Research
in Fundamentals of Legal Research 9th ed (New York Foundation Press 2009) KF 240F85 2009
Richmond Gail Levin Federal Tax Research Guide to Materials and Techniques 8th ed (New York Foundation Press 2010) KF 241 T38 R53 2010
Primary Sources of Authority
As with every other subject that we have examined this semester there are three primary sources of authority with regards to federal taxation
Primary sources of federal tax authority include statutes ie legislation drafted by the US Congress regulations promulgated under either a delegation of
legislative power to the Treasury Department or an exercise of executive power by the Internal Revenue Service (IRS)
cases decided initially by the Tax Court a US District Court the Court of Federal Claims or a US Bankruptcy Court Those decisions can be appealed to the appropriate US Court of Appeals and ultimately the US Supreme Court
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Many thanks to Professor Gail Levin Richmond at Nova Southeastern University Shepard Broad Law Center for guiding me through the thicket of tax research
Federal Tax Research
The US Constitution article 1 Sec8cl 1 empowers the US Congress to lay and collect Taxes Duties Imposts and Excises and to pay the debts and provide for the common Defense and generalWelfare of the United States But all Duties Imposts and Excises shall be uniform Throughout the United States
How do I start a tax research project
If you have a citation or popular name go directly to Title 26 (Internal Revenue Code) of the Code
If you know very little about the topic and want to begin to familiarize yourself select a secondary resource to assist
Secondary Sources
Secondary sources that will help explain tax research materials and techniques includeBarkan Steve ed et al Federal Tax Research
in Fundamentals of Legal Research 9th ed (New York Foundation Press 2009) KF 240F85 2009
Richmond Gail Levin Federal Tax Research Guide to Materials and Techniques 8th ed (New York Foundation Press 2010) KF 241 T38 R53 2010
Primary Sources of Authority
As with every other subject that we have examined this semester there are three primary sources of authority with regards to federal taxation
Primary sources of federal tax authority include statutes ie legislation drafted by the US Congress regulations promulgated under either a delegation of
legislative power to the Treasury Department or an exercise of executive power by the Internal Revenue Service (IRS)
cases decided initially by the Tax Court a US District Court the Court of Federal Claims or a US Bankruptcy Court Those decisions can be appealed to the appropriate US Court of Appeals and ultimately the US Supreme Court
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Federal Tax Research
The US Constitution article 1 Sec8cl 1 empowers the US Congress to lay and collect Taxes Duties Imposts and Excises and to pay the debts and provide for the common Defense and generalWelfare of the United States But all Duties Imposts and Excises shall be uniform Throughout the United States
How do I start a tax research project
If you have a citation or popular name go directly to Title 26 (Internal Revenue Code) of the Code
If you know very little about the topic and want to begin to familiarize yourself select a secondary resource to assist
Secondary Sources
Secondary sources that will help explain tax research materials and techniques includeBarkan Steve ed et al Federal Tax Research
in Fundamentals of Legal Research 9th ed (New York Foundation Press 2009) KF 240F85 2009
Richmond Gail Levin Federal Tax Research Guide to Materials and Techniques 8th ed (New York Foundation Press 2010) KF 241 T38 R53 2010
Primary Sources of Authority
As with every other subject that we have examined this semester there are three primary sources of authority with regards to federal taxation
Primary sources of federal tax authority include statutes ie legislation drafted by the US Congress regulations promulgated under either a delegation of
legislative power to the Treasury Department or an exercise of executive power by the Internal Revenue Service (IRS)
cases decided initially by the Tax Court a US District Court the Court of Federal Claims or a US Bankruptcy Court Those decisions can be appealed to the appropriate US Court of Appeals and ultimately the US Supreme Court
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
How do I start a tax research project
If you have a citation or popular name go directly to Title 26 (Internal Revenue Code) of the Code
If you know very little about the topic and want to begin to familiarize yourself select a secondary resource to assist
Secondary Sources
Secondary sources that will help explain tax research materials and techniques includeBarkan Steve ed et al Federal Tax Research
in Fundamentals of Legal Research 9th ed (New York Foundation Press 2009) KF 240F85 2009
Richmond Gail Levin Federal Tax Research Guide to Materials and Techniques 8th ed (New York Foundation Press 2010) KF 241 T38 R53 2010
Primary Sources of Authority
As with every other subject that we have examined this semester there are three primary sources of authority with regards to federal taxation
Primary sources of federal tax authority include statutes ie legislation drafted by the US Congress regulations promulgated under either a delegation of
legislative power to the Treasury Department or an exercise of executive power by the Internal Revenue Service (IRS)
cases decided initially by the Tax Court a US District Court the Court of Federal Claims or a US Bankruptcy Court Those decisions can be appealed to the appropriate US Court of Appeals and ultimately the US Supreme Court
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Secondary Sources
Secondary sources that will help explain tax research materials and techniques includeBarkan Steve ed et al Federal Tax Research
in Fundamentals of Legal Research 9th ed (New York Foundation Press 2009) KF 240F85 2009
Richmond Gail Levin Federal Tax Research Guide to Materials and Techniques 8th ed (New York Foundation Press 2010) KF 241 T38 R53 2010
Primary Sources of Authority
As with every other subject that we have examined this semester there are three primary sources of authority with regards to federal taxation
Primary sources of federal tax authority include statutes ie legislation drafted by the US Congress regulations promulgated under either a delegation of
legislative power to the Treasury Department or an exercise of executive power by the Internal Revenue Service (IRS)
cases decided initially by the Tax Court a US District Court the Court of Federal Claims or a US Bankruptcy Court Those decisions can be appealed to the appropriate US Court of Appeals and ultimately the US Supreme Court
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Primary Sources of Authority
As with every other subject that we have examined this semester there are three primary sources of authority with regards to federal taxation
Primary sources of federal tax authority include statutes ie legislation drafted by the US Congress regulations promulgated under either a delegation of
legislative power to the Treasury Department or an exercise of executive power by the Internal Revenue Service (IRS)
cases decided initially by the Tax Court a US District Court the Court of Federal Claims or a US Bankruptcy Court Those decisions can be appealed to the appropriate US Court of Appeals and ultimately the US Supreme Court
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Statutes
Legislation enacted by the US Congress regarding taxes is published (codified or published in a subject arrangement) in Title 26 of the United States Code
The USC can be found in in print publications by GPO West and Lexisonline at no charge at FDsys online at fee sites such as WestlawNext Lexis Advance
Bloomberg Law and HeinOnline in commercial publications print and electronic such as
Bloomberg BNArsquos tax products CCHrsquos Standard Federal Tax Reporter Mertenrsquos and RIA Checkpoint
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Bloomberg BNA
Bloomberg BNA is best known for its TAX MANAGEMENT PORTFOLIOS as well as its current awareness resource the DAILY TAX REPORT
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Bloomberg BNA Tax Materials
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Bloomberg Tax Management Portfolio
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
CCH Standard Federal Tax Reporter
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
CCH Standard Federal Tax Reporter
SFTR can be considered one stop shopping because the researcher can access thetext of the IRCselected legislative history pertaining to IRC
provisionscommittee reportsRegulationsAnnotations amp Commentary
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
IRC or Code Section
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Legislative History History Notes
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Regulations
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Annotations
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
CCH Explanations
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
RIA Checkpoint
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
RIA Checkpoint Current Awareness
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Browse Title 26 via RIA
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Browse Title 26 at FDsys
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Lexis Advance
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
WestlawNext
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Legislative History Specialized Tax Resources
In addition to the usual sources for compiling a federal legislative history specialized tax resources exist
Some of these specialized resources areSeidmanrsquos Legislative History of Federal Income Ta
x laws 1861-1938
Seidmanrsquos Legislative History of Federal Income and Excess Profit Laws 1938-1953
Seidmanrsquos Legislative History of Excess Profit Tax Laws amp
Compiled Tax Legislative Histories by Bernard Reams
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
HeinOnline
In addition to the Seidman legislative histories Hein Online also provides access to tax and economic reform legislative histories as well as early tax and economic reform books
The IRC from 1909-1950 is also available via Hein Online
Hein recently added the Tax Archive Foundation to its Tax Library
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
HeinOnline
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Regulations amp IRS Pronouncements
The Treasury Department promulgates and issues regulations pertaining to the tax code while the Internal Revenue Service makes pronouncements about pending situations of individualcorporate taxpayers and the tax code
These regulations pending regulations and various pronouncements are published in a variety of sources
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Treasury Department Regulations
Temporary and final regulations promulgated by the Treasury Department are also known as Treasury Decisions (TD)
As with all regulations these final regulations are initially published in the Federal Register (FR) and then codified into Title 26 of the Code of Federal Regulations (CFR)
Pending regulations ie proposed TDs are published in the Federal Register as are all pending federal regulations
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Commercial Publications
Temporary and final tax regulations TDs are also published in commercial sources such asCCH Standard Federal Tax ReporterRIA Checkpoint orTax Analyst
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
IRS Pronouncements
The IRS issues pronouncements that are both officially published as well as unofficially
Officially published pronouncements includeRevenue Rulings (RR)Revenue Procedures (RP) ampNotices amp Announcements
These pronouncements do have legal significance for taxpayers
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
IRS Pronouncements
In addition to making and publishing official announcements the IRS also makes announcements that it publically releases but does not officially publish
These include Private Letter Rulings (PLR) Technical Advice Memorandum (TAM) Actions on Decision (AOD) General Counsel Memoranda (GCM) Internal Revenue Manual (IRM) Field Service Advice (FSA) Service Center Advice (SCA) Chief Counsel Advice (CCA) Chief Counsel Bulletins Litigation Guideline Memoranda (LGM) Industry Specialization Program (ISP)
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Official IRS Pronouncements
Revenue Rulings (RR) are issued by the IRS to deal with particular factual situations presented by a taxpayer If the IRS determines that the ruling is of general interest it is published in the Internal Revenue Bulletin and Cumulative Bulletin
Revenue Rulings can be relied upon by taxpayers in similar factual situations
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Revenue Procedures amp Procedural Rules (RP)
These are publications in the Internal Revenue Bulletin and Cumulative Bulletin of IRS practices and procedures
They are arranged by year of publication in chronological order
As with Revenue Rulings other taxpayers can rely upon Revenue Procedures to avoid ldquosubstantial understatement penaltiesrdquo
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Officially Published IRS Pronouncements
Notices Announcements amp Other ItemsThese are officially released by the IRS and
published in the Internal Revenue Bulletin but not the Cumulative Bulletin
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Internal Revenue Bulletin
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Official Pronouncements of the IRS
Official pronouncements by the IRS are published in official IRS publications known as the Cumulative Bulletin and the Internal Revenue Bulletin
They are also published commercially in CCH and RIA Checkpoint
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Released IRS Pronouncements
The IRS also publically releases pronouncements such as TAMs AODs PLRs and other publications that the IRS does not consider to be ldquoofficially publishedrdquo
The IRS does not consider itself to be bound by these pronouncements to taxpayers as a group
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Private Letter Rulings
Private Letter Rulings (PLR) are issued by the IRS to private taxpayers to provide guidance regarding a particular IRS policy as applied to a given set of factual circumstances
The taxpayer receives this ruling before it is publically released to others
While illustrative of IRS policy these PLRs cannot be relied upon by taxpayers other than the one to whom the ruling was issued
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Actions on Decisions
Actions on Decisions demonstrate the reasons why the IRS chooses not to appeal an adverse decision issued against it by a trial level court
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Technical Advice Memoranda amp General Counsel Memoranda
Technical Advice Memoranda (TAMs) are issued by the IRS in response to ldquoIRS requests arising out of tax return examinationsrdquoSee Richmond Gail Levin Federal Tax Research in
Fundamentals of Legal ResearchGeneral Counsel Memoranda (GCMs) come
from the Office of General Counsel of the IRS They provide the reasoning and authority relied upon by the IRS when issuing PLRs RRs and RPs
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Where can we find the released yet not officially published IRS Pronouncements
Bloomberg BNA Tax amp Accounting CenterCCH Standard Federal Tax ReporterInternal Revenue BulletinLexis AdvanceRIA CheckpointTax AnalystsWestlaw Next
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Bloomberg BNA Tax amp Accounting Center
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
CCH Standard Federal Tax Reporter
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
IRS Internal Revenue Bulletin
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Lexis Advance
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
RIA Checkpoint
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Tax Analysts
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
WestlawNext
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Cases
After locating the applicable statutory provision and related regulations cases can then be reviewed to understand how courts are interpreting the IRC
Where do tax cases originateUS Tax Court US Bankruptcy CourtCourt of Federal ClaimsUS District Court
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Cases in Tax Court
Taxpayers who can not or will not pay disputed tax bills with the IRS proceed to the US Tax Court to resolve their dispute
The official publication for US Tax Court decisions is United States Tax Court Reports
Commercial publications of Tax Court decisions include the CCH Tax Court Reporter amp RIA Tax Court
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
United States Tax Court
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Bloomberg BNA Tax Cases
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
CCH Standard Federal Tax Reporter Cases
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Lexis Advance Tax Cases
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
RIA Checkpoint Tax Cases
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Tax Analysts Cases
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
WestlawNext Tax Cases
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Tax Decisions in Bankruptcy Court amp the Court of Federal Claims
Decisions regarding taxes issued in a US Bankruptcy Court after 1980 are published in the subject publication Bankruptcy Reporter
Decisions from the US Court of Federal Claims are now published in the US Court of Claims Reports
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Tax Decisions in US District Courts
Provided a tax payer can and does pay the disputed tax to the IRS the tax payer can then sue the IRS for a refund in the appropriate US federal district court
Before 1932 these decisions were published in the Federal Reporter
After 1932 these decisions were published in the Federal Supplement
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Commercial Publications
Decisions involving tax disputes are published commercially inAmerican Federal Tax ReportsCCH Standard Federal Tax ReporterCCH Tax Court ReporterRIA United States Tax Court Reports
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Appellate Decisions Involving Tax
Decisions from the Tax Court US District Court US Bankruptcy Court and Court of Federal Claims can be appealed to the appropriate Circuit Court and ultimately to the US Supreme Court
Circuit Court decisions are published in the Federal Reporter while US Supreme Court decisions are published in the US Reports
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Updating Tax Materials
Tax citators exist enabling tax researchers to update their materials
Citators areShepards Federal Tax CitationsCCH Standard Federal Tax CitatorRIA Citator
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Loose Leafs amp Treatises
Several loose leaf services subject specific to tax do exist and includeBloomberg BNA Tax Management PortfoliosCCH Standard Federal Tax ReporterMertenrsquos Law of Federal Income TaxationRIA Federal Tax Coordinator
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
NewslettersCurrent Awareness
BNA Daily Tax ReportTax Analysts Daily Tax Notes
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Blogs TaxProf Blog
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Forms Check out wwwirsgov
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques
Questions
Stop by the Reference Desk or check out Gail Levin Richmondrsquos Tax Research Techniques