IRS Written Determinations

Free IRS private letter rulings, technical advice memoranda, and Chief Counsel advice with plain-English summaries and the official IRS release on every page.

19,180 determinations and counting · Newest release August 21, 2026
19,180 determinations

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PLR

PLR 1135011: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. The company filed Form 973 with its return but omitted Forms 972 for its consenting…

1135011·September 2, 2011
Approved
PLR

PLR 1135010: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. The company filed Form 973 with its return but omitted Forms 972 for its consenting…

1135010·September 2, 2011
Approved
PLR

PLR 1135009: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. The company filed Form 973 with its return but omitted Forms 972 for its consenting…

1135009·September 2, 2011
Approved
PLR

PLR 1135008: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. The company filed Form 973 with its return but omitted Forms 972 for its consenting…

1135008·September 2, 2011
Approved
PLR

PLR 1135007: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. It filed Form 973 with its return but omitted Forms 972 for its consenting shareholders,…

1135007·September 2, 2011
Approved
PLR

PLR 1135006: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. It filed Form 973 with its return but omitted Forms 972 for its consenting shareholders,…

1135006·September 2, 2011
Approved
PLR

PLR 1135005: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. It filed Form 973 with its return but omitted Forms 972 for its consenting shareholders,…

1135005·September 2, 2011
Approved
PLR

PLR 1135004: IRS allows a late S corporation election after reasonable cause was shown

A corporation asked the IRS to treat an S corporation election as timely even though it did not file Form 2553 by the required deadline. The IRS concluded that the corporation had reasonable cause…

1135004·September 2, 2011
Approved
PLR

PLR 1135003: IRS grants more time to elect an extended net operating loss carryback

The common parent of a consolidated group asked for more time to elect an extended carryback period for a consolidated net operating loss incurred in a prior year. The group had missed the deadline…

1135003·September 2, 2011
Approved
PLR

PLR 1135002: IRS approves a REIT's two-class stock structure and related fees

A proposed real estate investment trust asked whether issuing retail and institutional classes of common stock with different distribution fees would create preferential dividends, affect its REIT…

1135002·September 2, 2011
Approved
PLR

PLR 1135001: IRS treats income and gain from commodity-linked notes as qualifying RIC income

A regulated investment company asked whether income and gain from two commodity-linked notes would count as qualifying income under the RIC gross-income test. The notes were described as hybrid…

1135001·September 2, 2011
Approved
PLR

PLR 1134026: IRS waives the 60-day IRA rollover deadline after bank error

A taxpayer asked the IRS to waive the 60-day deadline for rolling an IRA distribution into another IRA. The taxpayer said bank representatives repeatedly advised her to wait to deposit the…

1134026·August 26, 2011
Approved
PLR

PLR 1134025: IRS waives rollover deadlines after financial advisor fraud

A taxpayer received distributions from two IRAs intending to place the funds into an IRA annuity. The taxpayer says a financial advisor unlawfully deposited the combined amount into the advisor's…

1134025·August 26, 2011
Approved
DET

IRS written determination 1134024: contingent set-aside approved during foundation litigation

A private nonoperating foundation asked to approve a contingent set-aside for amounts it could not distribute while a court decided which hospital would succeed to a beneficiary's interest under its…

1134024·August 26, 2011
Approved
DET

IRS written determination 1134023: school property approved for charitable foundation purposes

A private foundation planned to use a wholly owned disregarded entity to acquire land, build a school, and lease the property to an unrelated public charity for a nominal rent. The foundation asked…

1134023·August 26, 2011
Approved
PLR

PLR 1134022: IRS grants more time to make a low-income housing credit election

A taxpayer asked for more time to make the § 42(g)(1) election for a low-income housing project. The taxpayer had placed the project in service but inadvertently failed to make a timely, correct…

1134022·August 26, 2011
Approved
PLR

PLR 1134021: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. It filed Form 973 with its return but omitted Forms 972 for its consenting shareholders,…

1134021·August 26, 2011
Approved
PLR

PLR 1134020: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. It filed Form 973 with its return but omitted Forms 972 for its consenting shareholders,…

1134020·August 26, 2011
Approved
PLR

PLR 1134019: IRS grants more time for a regulated investment company to make a consent dividend election

A regulated investment company asked for more time to make a consent dividend election for a prior tax year. It filed Form 973 with its return but omitted Forms 972 for its consenting shareholders,…

1134019·August 26, 2011
Approved
CCA

CCA 1134018: Chief Counsel advises that an amended-return abatement cannot be reinstated after the assessment period expires

Chief Counsel considered an assessment that the Service abated after taxpayers filed an amended return reporting a lower liability. The advice concluded that the abatement was a substantive…

1134018·August 26, 2011
Advice
PLR

PLR 1134017: Transfer of trust assets preserves GST status and avoids gift tax and gain

A taxpayer asked whether a special trustee could move assets from one family trust into a new trust for the same family beneficiary and descendants. The IRS ruled that the receiving trust would keep…

1134017·August 26, 2011
Approved
PLR

PLR 1134016: IRS grants late S corporation election relief for reasonable cause

A corporation missed the deadline to elect S corporation status and asked the IRS to treat the election as timely. The IRS found reasonable cause for the late filing and ruled that the corporation…

1134016·August 26, 2011
Approved
PLR

PLR 1134015: Federal department liable for employee FICA tax after international transfer

A federal department transferred employees to international organizations under 5 U.S.C. § 3582, and the employees' services met the conditions for FICA employment under IRC § 3121(y). The…

1134015·August 26, 2011
Approved
PLR

PLR 1134014: CFC subpart F income qualifies as RIC income

A regulated investment company planned to invest through a wholly owned foreign subsidiary that would hold commodity-related investments and other securities. The fund asked whether its share of the…

1134014·August 26, 2011
Approved
PLR

PLR 1134013: IRS grants late entity-classification election relief

A foreign entity that had been treated consistently as disregarded for federal tax purposes failed to file its entity-classification election on time. The IRS found that the taxpayer acted…

1134013·August 26, 2011
Approved
PLR

PLR 1134012: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134012·August 26, 2011
Approved
PLR

PLR 1134011: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134011·August 26, 2011
Approved
PLR

PLR 1134010: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134010·August 26, 2011
Approved
PLR

PLR 1134009: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134009·August 26, 2011
Approved
PLR

PLR 1134008: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134008·August 26, 2011
Approved
PLR

PLR 1134007: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134007·August 26, 2011
Approved
PLR

PLR 1134006: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134006·August 26, 2011
Approved
PLR

PLR 1134005: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134005·August 26, 2011
Approved
PLR

PLR 1134004: IRS grants extra time for a consent dividend election

A regulated investment company failed to attach required shareholder consent forms to its return for a consent dividend election. The IRS found that the taxpayer had acted reasonably and in good…

1134004·August 26, 2011
Approved
PLR

PLR 1134003: IRS grants more time to elect a current deduction for drilling costs

A privately owned corporation incurred intangible drilling and development costs in its oil and gas business but did not elect to deduct those costs currently on its first relevant tax return. Its…

1134003·August 26, 2011
Approved
PLR

PLR 1134002: IRS treats an S corporation election as continuing after an inadvertent termination

A corporation's S corporation election terminated when an ineligible shareholder acquired its stock. The corporation represented that the termination was inadvertent, that the stock was returned to…

1134002·August 26, 2011
Approved
PLR

PLR 1134001: IRS grants more time to waive a consolidated group's loss carryback

A parent company failed to timely file an election to relinquish the entire carryback period for its consolidated group's net operating loss. The IRS found that the parent acted reasonably and in…

1134001·August 26, 2011
Approved
DET

IRS revokes exemption for a small property and casualty insurance company

The IRS revoked an insurance company's exemption under IRC section 501(c)(15) after determining that its gross receipts exceeded the applicable limitation. The examination report said the…

1133016·August 19, 2011
Revocation
PLR

PLR 1133015: IRS waives the 60-day IRA rollover deadline

An individual missed the 60-day deadline to roll an IRA distribution into a new IRA after a bank employee gave incorrect information about the rollover period. The individual represented that the…

1133015·August 19, 2011
Approved
PLR

PLR 1133014: IRS waives the 60-day deadline for an IRA rollover

An individual received a partial IRA distribution and missed the 60-day rollover deadline after a financial advisor deposited the funds into a joint non-IRA account. The taxpayer represented that…

1133014·August 19, 2011
Approved
PLR

PLR 1133013: IRS addresses a charity's conversion to private foundation status

A supporting organization sought to convert from public charity status to private foundation status while making a series of grants to the charity it supported. The IRS ruled that the conversion…

1133013·August 19, 2011
Mixed outcome
PLR

PLR 1133012: Charity can convert a supporting fund to a private foundation

An existing public charity asked whether a supporting fund could convert to private foundation status and make promised payments to the charity as part of that conversion. The IRS ruled that the…

1133012·August 19, 2011
Approved
DET

IRS determination 1133011: Organization denied exemption as a section 501(c)(25) entity

The IRS issued a final adverse determination to an organization that described itself as a broker-dealer, accounts manager, clearinghouse, and private-to-private lending institution. The…

1133011·August 19, 2011
Other outcome
CCA

Alternative fuel credits for anaerobic digestion products

Chief Counsel advised on whether substrate and raw biogas from an anaerobic digestion process qualify for alternative fuel or alternative fuel mixture credits. The advice concludes that substrate…

1133010·August 19, 2011
Advice
PLR

PLR 1133009: Taxpayer granted more time to elect deductions for drilling costs

The IRS granted a taxpayer an extension of time to make an election under section 263(c) to deduct intangible drilling and development costs. The taxpayer had not made the election on time and…

1133009·August 19, 2011
Approved
PLR

PLR 1133008: Parent granted more time to file a consolidated return election

The IRS granted a parent corporation and its affiliated group more time to elect consolidated return treatment after the group failed to file the election by the deadline. The ruling requires the…

1133008·August 19, 2011
Approved
PLR

PLR 1133007: Division of grandfathered trusts approved without adverse tax consequences

The IRS approved a proposal to divide two irrevocable trusts created before September 25, 1985 into separate subtrusts for different descendants. The IRS ruled that the division would preserve the…

1133007·August 19, 2011
Approved
PLR

PLR 1133006: Contributions to a new REIT and LLC treated as tax-free transfers

The IRS ruled on a proposed restructuring in which a corporation, a partnership, and a tax-exempt trust would contribute interests in an LLC to a newly formed entity that would elect REIT status.…

1133006·August 19, 2011
Approved
PLR

PLR 1133005: Late GST exemption allocation granted with transfer-date effect

The IRS granted a taxpayer 120 additional days to allocate generation-skipping transfer tax exemption to an earlier transfer to an irrevocable trust. The taxpayer’s professionals had failed to make…

1133005·August 19, 2011
Approved
PLR

PLR 1133004: Trust reformation approved for charitable remainder unitrust

The IRS approved a court-ordered reformation of a trust from a net income with makeup charitable remainder unitrust to a standard charitable remainder unitrust. The ruling states that the trust was…

1133004·August 19, 2011
Approved
PLR

PLR 1133003: Corporate spin-off received favorable section 355 rulings

The IRS ruled on a completed spin-off in which a distributing corporation transferred the stock of its controlled subsidiary to its parent. The ruling confirms nonrecognition of gain or loss for the…

1133003·August 19, 2011
Approved
PLR

PLR 1133002: Foreign entity granted more time to elect partnership status

The IRS granted a foreign eligible entity 120 additional days to file Form 8832 and elect partnership classification for federal tax purposes. The entity had failed to make the election by the…

1133002·August 19, 2011
Approved
PLR

PLR 1133001: Regulated investment company granted more time for consent dividend election

The IRS granted a regulated investment company 60 additional days to complete a consent dividend election for a prior tax year. The company had filed Form 973 but had not attached the required Forms…

1133001·August 19, 2011
Approved
DET

Determination 1132030: IRS revoked a credit counseling organization's section 501(c)(3) exemption

The IRS revoked the organization's section 501(c)(3) exemption, effective January 1, 2001, and concluded that contributions to it were not deductible under section 170. The organization offered…

1132030·August 12, 2011
Revocation
PLR

PLR 1132029: IRS approved a state retirement system's governmental excess benefit arrangement

The IRS ruled that a state retirement system's excess benefit arrangement qualified under section 415(m). The arrangement supplements benefits from a defined benefit plan when section 415(b) limits…

1132029·August 12, 2011
Approved
PLR

PLR 1132028: IRS approved a governmental excess benefit arrangement for state employees

The IRS ruled that a state retirement system's proposed excess benefit arrangement qualified under section 415(m). The arrangement supplements benefits from a defined benefit plan when section…

1132028·August 12, 2011
Approved
PLR

PLR 1132027: IRS approved a private foundation's transfer of all assets to a successor corporation

The IRS ruled that a charitable trust could transfer all of its assets and operations, without consideration, to a state not-for-profit corporation that would seek recognition as a section 501(c)(3)…

1132027·August 12, 2011
Approved
PLR

PLR 1132026: IRS approved a foundation's scholarship grant-making procedures

The IRS approved a private foundation's procedures for awarding scholarships to African American high school students who live in the redacted state and demonstrate financial need, academic ability,…

1132026·August 12, 2011
Approved
PLR

PLR 1132025: IRS approved a fellowship grant-making program for rural community leadership

The IRS approved a private foundation's fellowship grant-making procedures under section 4945(g)(3). The fellowship is intended to strengthen community-building skills and rural community vitality…

1132025·August 12, 2011
Approved
PLR

PLR 1132024: IRS approved expanded scholarship grant-making procedures

The IRS approved a private foundation's expansion of an existing scholarship program under section 4945(g)(1). The expanded program will support single mothers pursuing higher education, financially…

1132024·August 12, 2011
Approved

What these documents are

  • Private letter rulings (PLRs): A taxpayer asked the IRS to rule on a planned transaction before doing it. The ruling shows exactly how the IRS applied the Code to those facts.
  • Technical advice memoranda (TAMs): The IRS National Office answering a question raised during an audit or other proceeding.
  • Chief Counsel advice (CCAs): IRS lawyers advising their own field staff on how to apply the law.
  • Determination letters: Rulings on exempt-organization matters, such as whether an organization qualifies under § 501(c)(3) or a foundation's grant procedures pass § 4945.
  • Not precedent, still useful: Under 26 U.S.C. § 6110(k)(3) none of these can be cited as precedent. They remain the best public window into how the IRS actually rules on facts like yours, and practitioners read them for exactly that.