Deck 4: Administrative Regulations and Rulings
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Deck 4: Administrative Regulations and Rulings
1
Most official IRS pronouncements are written by:
A) The IRS Office of Chief Counsel
B) The IRS Commissioner
C) The Treasury Secretary
D) IRS Field Office Staff Members
A) The IRS Office of Chief Counsel
B) The IRS Commissioner
C) The Treasury Secretary
D) IRS Field Office Staff Members
A
2
Treasury Decisions are published first, officially, in:
A) the Internal Revenue Bulletin
B) first in the Internal Revenue Bulletin and then in the Federal Register
C) the Federal Register
D) Congressional Committee Reports
A) the Internal Revenue Bulletin
B) first in the Internal Revenue Bulletin and then in the Federal Register
C) the Federal Register
D) Congressional Committee Reports
C
3
Which of the following is CORRECT with respect to Private Letter Rulings?
A) They are issued by the IRS National Office in response to a specific taxpayer request.
B) They can be cited as precedent by other taxpayers.
C) They are published weekly by the IRS in the Internal Revenue Bulletin.
D) They are also known as Technical Advice Memoranda.
E) None of the above statements is correct.
A) They are issued by the IRS National Office in response to a specific taxpayer request.
B) They can be cited as precedent by other taxpayers.
C) They are published weekly by the IRS in the Internal Revenue Bulletin.
D) They are also known as Technical Advice Memoranda.
E) None of the above statements is correct.
A
4
In the citation Reg. §1.162-2a)1), the number '162' stands for the:
A) type of Regulation.
B) related Code section.
C) Code of Federal Regulations.
D) Regulation paragraph.
A) type of Regulation.
B) related Code section.
C) Code of Federal Regulations.
D) Regulation paragraph.
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5
The IRS, as an administrative agency, is responsible for:
A) formulating and interpreting the tax laws
B) interpreting and enforcing the tax laws
C) formulating and evaluating the tax laws
D) planning and formulating the tax laws
A) formulating and interpreting the tax laws
B) interpreting and enforcing the tax laws
C) formulating and evaluating the tax laws
D) planning and formulating the tax laws
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6
Which of the following IRS pronouncements has the highest weight of authority?
A) IRS Revenue Rulings
B) IRS Taxpayer Publications
C) IRS Announcements
D) All of the above IRS pronouncements have equal weight of authority.
A) IRS Revenue Rulings
B) IRS Taxpayer Publications
C) IRS Announcements
D) All of the above IRS pronouncements have equal weight of authority.
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7
The Commissioner of the IRS is appointed by the:
A) The Treasury Secretary
B) The President of the United States
C) The Chief Counsel of the IRS
D) General Counsel of the Treasury Department
A) The Treasury Secretary
B) The President of the United States
C) The Chief Counsel of the IRS
D) General Counsel of the Treasury Department
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8
Regulations may have retroactive effect in which of the following circumstances:
A) The Regulation is designed to prevent abuse by taxpayers.
B) The Regulation relates to internal Treasury Department policies, practices, or procedures.
C) Both a) and b).
D) Regulations can never be effective retroactively.
A) The Regulation is designed to prevent abuse by taxpayers.
B) The Regulation relates to internal Treasury Department policies, practices, or procedures.
C) Both a) and b).
D) Regulations can never be effective retroactively.
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9
The IRS's general authority to issue binding rules and regulations comes from which source?
A) The United States Constitution
B) An Executive Order of the President
C) A section of the Internal Revenue Code itself.
D) None of the above.
A) The United States Constitution
B) An Executive Order of the President
C) A section of the Internal Revenue Code itself.
D) None of the above.
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10
Temporary Regulations expire:
A) After an IRS hearing on the regulations.
B) At the end of the public comment period.
C) Five years after issuance pursuant to the statute.
D) Three years after issuance pursuant to the statute.
E) Temporary regulations never expire.
A) After an IRS hearing on the regulations.
B) At the end of the public comment period.
C) Five years after issuance pursuant to the statute.
D) Three years after issuance pursuant to the statute.
E) Temporary regulations never expire.
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11
Which statement is CORRECT regarding Proposed Regulations?
A) They cannot become final until the expiration of at least 30 days after they are published in proposed form.
B) The IRS cannot make changes to Proposed Regulations before they become final.
C) The public must be given an opportunity to comment on Proposed Regulations before they become final.
D) Only a) and c) are correct.
A) They cannot become final until the expiration of at least 30 days after they are published in proposed form.
B) The IRS cannot make changes to Proposed Regulations before they become final.
C) The public must be given an opportunity to comment on Proposed Regulations before they become final.
D) Only a) and c) are correct.
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12
Which of the following Regulations bears the greatest precedential value?
A) Legislative Regulations
B) Proposed Regulations
C) General Regulations
D) Income Tax Regulations
A) Legislative Regulations
B) Proposed Regulations
C) General Regulations
D) Income Tax Regulations
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13
Which of the following statements is INCORRECT with regard to IRS Revenue Rulings?
A) Revenue Rulings apply the Code and Regulations to a specific fact situation.
B) Revenue Rulings are published chiefly to give guidance to taxpayers.
C) A Revenue Ruling is an official pronouncement of the IRS National Office.
D) All of the above statements are correct.
A) Revenue Rulings apply the Code and Regulations to a specific fact situation.
B) Revenue Rulings are published chiefly to give guidance to taxpayers.
C) A Revenue Ruling is an official pronouncement of the IRS National Office.
D) All of the above statements are correct.
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14
Which of the following statements is INCORRECT regarding the effective date of Regulations?
A) A Regulation becomes effective 18 months after the statute on which it is based was enacted.
B) A Regulation is effective on the date on which the Regulation is filed with the Federal Register.
C) Temporary regulations are effective immediately upon publication.
D) All of the above statements are correct.
A) A Regulation becomes effective 18 months after the statute on which it is based was enacted.
B) A Regulation is effective on the date on which the Regulation is filed with the Federal Register.
C) Temporary regulations are effective immediately upon publication.
D) All of the above statements are correct.
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15
All of the following types of tax documents are published in the Internal Revenue Bulletin except:
A) IRS Revenue Procedures.
B) IRS Letter Rulings.
C) Treasury Decisions.
D) New Tax Treaties
E) All of the above documents are published in the Internal Revenue Bulletin.
A) IRS Revenue Procedures.
B) IRS Letter Rulings.
C) Treasury Decisions.
D) New Tax Treaties
E) All of the above documents are published in the Internal Revenue Bulletin.
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16
Which of the following Regulations deals with estate taxes?
A) Reg. §1.162-21a)2)
B) Reg. §25.2503-4
C) Reg. §1.6662-5T
D) Reg. §31.3121a)-2
E) None of the above.
A) Reg. §1.162-21a)2)
B) Reg. §25.2503-4
C) Reg. §1.6662-5T
D) Reg. §31.3121a)-2
E) None of the above.
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17
Determination Letters are:
A) issued by the National Office of the IRS on proposed transactions.
B) issued by a local IRS office, usually on completed transactions.
C) published first in the Internal Revenue Bulletin.
D) Issued to IRS field agents as audit guidance.
A) issued by the National Office of the IRS on proposed transactions.
B) issued by a local IRS office, usually on completed transactions.
C) published first in the Internal Revenue Bulletin.
D) Issued to IRS field agents as audit guidance.
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18
In the citation Rev Rul. 87-90, 1987-1 CB 198, the number '90' is the:
A) Ruling number for the year.
B) Year of ruling.
C) Paragraph number in the CB.
D) Volume number in the CB.
A) Ruling number for the year.
B) Year of ruling.
C) Paragraph number in the CB.
D) Volume number in the CB.
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19
Which citation represents the CORRECT numbering scheme for identification of IRS written determinations?
A) 199538005 where "1995" is the year, "38" is the week of the year, and "005" is the number of the ruling/memoranda that week.
B) LTR 2010-43, where "2010" is the year and "43" is the number of the ruling or memoranda for that year.
C) 1996 C.B. 6, where 1996 is the year and 6 is the page number for the ruling or memoranda.
D) 200917024 where "2009" is the year, "17" is the week of the year, and "024" is the number of the ruling/memoranda for that week.
A) 199538005 where "1995" is the year, "38" is the week of the year, and "005" is the number of the ruling/memoranda that week.
B) LTR 2010-43, where "2010" is the year and "43" is the number of the ruling or memoranda for that year.
C) 1996 C.B. 6, where 1996 is the year and 6 is the page number for the ruling or memoranda.
D) 200917024 where "2009" is the year, "17" is the week of the year, and "024" is the number of the ruling/memoranda for that week.
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20
Revenue Procedures deal with:
A) Specific taxpayer requests for the IRS's position on a tax issue.
B) Applying the Code and Regulations to a specific factual situation.
C) The internal practice and procedures of the IRS in the administration of the tax laws.
D) All of the above.
A) Specific taxpayer requests for the IRS's position on a tax issue.
B) Applying the Code and Regulations to a specific factual situation.
C) The internal practice and procedures of the IRS in the administration of the tax laws.
D) All of the above.
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21
The IRS issues General Regulations under a mandate by Congress to specify the substantive requirements of a tax provision.
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22
T.D. 9479 refers to a Treasury Determination letter.
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23
The IRS, under no circumstances, has the authority to decline to issue Letter Rulings.
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24
If a taxpayer disagrees with the scope or language of a Regulation, he or she has the burden of proving that the Regulation is improper.
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25
IRS General Counsel Memoranda are legal analyses which:
A) convey the IRS decision to acquiesce/nonacquiesce in a court decision.
B) summarize and explain published IRS Regulations.
C) assist in preparation of both Revenue Rulings and Private Letter Rulings.
D) have only short-term value.
A) convey the IRS decision to acquiesce/nonacquiesce in a court decision.
B) summarize and explain published IRS Regulations.
C) assist in preparation of both Revenue Rulings and Private Letter Rulings.
D) have only short-term value.
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26
Field Service Advice FSAs) are binding guidance provided by the IRS National Office to IRS service centers.
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27
The Internal Revenue Bulletin also is published in twice-yearly, bound volumes as the Cumulative Bulletin.
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28
The IRS disclaims responsibility for damages that a taxpayer may suffer in erroneously relying on its Taxpayer Publications.
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29
Technical Advice Memoranda are issued in response to a request by an IRS agent.
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30
An acquiescence indicates that a court decision will be:
A) appealed by the IRS.
B) followed in similar situations only if it favors the IRS.
C) followed in similar situations, even if it is adverse to the IRS.
D) ignored by the IRS.
A) appealed by the IRS.
B) followed in similar situations only if it favors the IRS.
C) followed in similar situations, even if it is adverse to the IRS.
D) ignored by the IRS.
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31
Which of the following statements is INCORRECT regarding Actions on Decisions AODs)?
A) AODs are prepared when the IRS loses a case in a court.
B) AODs are published in the Internal Revenue Bulletin.
C) AODs are published when the IRS wins a case in court.
D) The IRS's decisions on AODs are driven by litigation costs, revenue effects, and administrative and policy directives.
E) All of the above statements are correct.
A) AODs are prepared when the IRS loses a case in a court.
B) AODs are published in the Internal Revenue Bulletin.
C) AODs are published when the IRS wins a case in court.
D) The IRS's decisions on AODs are driven by litigation costs, revenue effects, and administrative and policy directives.
E) All of the above statements are correct.
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32
IRS Publications are published in the monthly Internal Revenue Bulletin as well as on the IRS website.
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33
A Regulation can never be made effective retroactively.
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34
An IRS Technical Advice Memorandum applies strictly to the taxpayer for whose audit it was requested and cannot be relied upon by other taxpayers.
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35
Which of the following IRS pronouncement citations is INCORRECT?
A) Notice 07-10, 2007 C.B. 324
B) Publication 519
C) Rev. Proc. 2011-14, 2011 I.R.B. 532
D) Action on Decision 2010-002
E) All of the above citations are correct.
A) Notice 07-10, 2007 C.B. 324
B) Publication 519
C) Rev. Proc. 2011-14, 2011 I.R.B. 532
D) Action on Decision 2010-002
E) All of the above citations are correct.
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36
Both Revenue Rulings and Letter Rulings have the same precedential value as far as authority in tax matters is concerned.
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37
With regard to IRS Announcements and Notices, which of the following statements is CORRECT?:
A) IRS Notices contain guidance on substantive interpretations of the law.
B) IRS Announcements and Notices are published in the weekly Internal Revenue Bulletin.
C) IRS Announcements contain guidance on substantive interpretations of the law.
D) Only a) and b) are correct.
E) All of the above statements are correct.
A) IRS Notices contain guidance on substantive interpretations of the law.
B) IRS Announcements and Notices are published in the weekly Internal Revenue Bulletin.
C) IRS Announcements contain guidance on substantive interpretations of the law.
D) Only a) and b) are correct.
E) All of the above statements are correct.
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38
Proposed Regulations do not have the effect of law.
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39
Temporary Regulations must be followed by taxpayers until they are superseded or until they expire.
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40
The U.S. Treasury Department is a part of the Internal Revenue Service.
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41
Describe the Internal Revenue Bulletin and identify the types of documents published in the Bulletin. Explain when it is published and the citations used to reference the Bulletin.
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42
Define General and Legislative Regulations and explain the distinction.
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43
The courts may invalidate IRS Regulations if they are found to conflict with the Code.
Short
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44
List the three types of IRS written determinations and briefly explain the differences.
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45
The IRS's official publication for its pronouncements is the Internal Revenue Manual.
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46
A nonacquiescence indicates that the IRS disagrees with the adverse decision in the case and will follow the decision only for the specific taxpayer whose case resulted in the adverse ruling.
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47
IRS Technical Memoranda summarize and explain regulations.
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48
Actions on Decision are published by the IRS in the Internal Revenue Bulletin first and thereafter in the Cumulative Bulletin.
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