The results of the tax research process should be documented in a research memo, in a letter to the client, or both.
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Q4: Novice tax researchers tend to examine less
Q5: Step 4 of the tax research process
Q6: Technical advice memoranda are considered primary authority
Q7: Private letter rulings are authoritative only for
Q8: A research memorandum is typically less detailed
Q10: Editorial explanations provided by electronic tax services
Q11: If a trial court decision has been
Q12: Professional tax research conclusions should always be
Q13: The Internal Revenue Code is the primary
Q14: Tax judicial decisions each have a single,
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