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Code · REGISTER · 2011-09-23 · DEPARTMENT OF THE TREASURY · Notices

Notices. DEPARTMENT OF THE TREASURY

972 words·~4 min read·/register/2011/09/23/2011-24488

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BILLING CODE 4915-01-P DEPARTMENT OF THE TREASURY Submission for OMB Review; Comment Request September 20, 2011. The Department of the Treasury will submit the following public information collection requirements to OMB for review and clearance under the Paperwork Reduction Act of 1995, Public Law 104-13 on or after the date of publication of this notice. A copy of the submissions may be obtained by calling the Treasury Bureau Clearance Officer listed. Comments regarding these information collections should be addressed to the OMB reviewer listed and to the Treasury PRA Clearance Officer, Department of the Treasury, 1750 Pennsylvania Avenue, NW., Suite 11010, Washington, DC 20220.
DATES: Written comments should be received on or before October 24, 2011 to be assured consideration. Internal Revenue Service
(IRS)*OMB Number:* 1545-0854. *Type of Review:* Extension without change of a currently approved collection. *Title:* Section 301.7245-3, Discharge of Liens (TD 9410). *Abstract:* The Internal Revenue Service needs this information in processing a request to sell property of a tax lien at a non-judicial sale. This information will be used to determine the amount, if any, to which the tax lien attaches. *Respondents:* Private Sector: Businesses or other for-profits. *Estimated Total Burden Hours:* 200. *OMB Number:* 1545-1244. *Type of Review:* Extension without change of a currently approved collection. *Title:* T.D. 9013, Limitation on Passive Activity Losses and Credits—Treatment on Self-Charged Items of Income and Expense. *Abstract:* These regulations provide guidance on the treatment of self-charged items of income and expense under section 469. The regulations re-characterize a percentage of certain portfolio income and expense as passive income and expense (self-charged items) when a taxpayer engages in a lending transaction with a partnership or an S corporation (passthrough entity) in which the taxpayer owns a direct or indirect interest and the loan proceeds are used in a passive activity. Similar rules apply to lending transactions between two identically owned passthrough entities. These final regulations affect taxpayers subject to the limitations on passive activity losses and credits. *Respondents:* Private Sector: Businesses or other for-profits. *Estimated Total Burden Hours:* 150. *OMB Number:* 1545-1771. *Type of Review:* Revision of a currently approved collection. *Title:* Revenue Procedure 2009-41, Extension of Time to File Entity Classification Elections. *Abstract:* This revenue procedure provides guidance under § 7701 of the Internal Revenue Code for an eligible entity that requests relief for a late classification election filed with the applicable IRS service center within 3 years and 75 days of the requested effective date of the eligible entity's classification election. The revenue procedure also provides guidance for those eligible entities that do not qualify for relief under this revenue procedure and that are required to request a letter ruling in order to request relief for a late entity classification. This revenue procedure supersedes Rev. Proc. 2002-59 by extending late entity classification relief to both initial classification elections and changes in classification elections along with extending the time for filing late entity classification elections to within 3 years and 75 days of the requested effective date of the eligible entity's classification election. *Respondents:* Private Sector: Businesses or other for-profits. *Estimated Total Burden Hours:* 1. *OMB Number:* 1545-1946. *Type of Review:* Revision of a currently approved collection. *Title:* T.D. 9315 (Final) Dual Consolidated Loss Regulations. *Abstract:* This document contains final regulations under section 1503(d) of the Internal Revenue Code
(Code)regarding dual consolidated losses. Section 1503(d) generally provides that a dual consolidated loss of a dual resident corporation cannot reduce the taxable income of any other member of the affiliated group unless, to the extent provided in regulations, the loss does not offset the income of any foreign corporation. Similar rules apply to losses of separate units of domestic corporations. These final regulations address various dual consolidated loss issues, including exceptions to the general prohibition against using a dual consolidated loss to reduce the taxable income of any other member of the affiliated group. *Respondents:* Private Sector: Businesses or other for-profits. *Estimated Total Burden Hours:* 2,765. *OMB Number:* 1545-1947. *Type of Review:* Extension without change of a currently approved collection. *Title:* REG-105346-03 (NPRM)—Partnership Equity For Services. *Abstract:* The proposed regulations provide that the transfer of a partnership interest in connection with the performance of services is subject to section 83 of the Internal Revenue Code
(Code)and provide rules for coordinating section 83 with partnership taxation principles. The proposed regulations also provide that no gain or loss is recognized by a partnership on the transfer or vesting of an interest in the transferring partnership in connection with the performance of services for the transferring partnership. *Respondents:* Private Sector: Businesses or other for-profits. *Estimated Total Burden Hours:* 112,500. *OMB Number:* 1545-2207. *Type of Review:* Extension without change of a currently approved collection. *Title:* Revenue Procedure 2011-26, Additional First Year Depreciation Deduction. *Abstract:* This revenue procedure provides guidance under § 2022(a) of the Small Business Jobs Act of 2010, Public Law 111-240, 124 Stat. 2504 (September 27, 2010) (SBJA), and § 401(a) and
(b)of the Tax Relief, Unemployment Insurance Reauthorization, and Job Creation Act of 2010, Public Law 111-312, 124 Stat. 3296 (December 17, 2010) (TRUIRJCA). Sections 2022(a) of the SBJA and 401(a) of the TRUIRJCA amend § 168(k)(2) of the Internal Revenue Code by extending the placed-in-service date for property to qualify for the 50-percent additional first year depreciation deduction. Section 401(b) of the TRUIRJCA amends § 168(k) by adding § 168(k)(5) that temporarily allows a 100-percent additional first year depreciation deduction for certain new property. *Respondents:* Private Sector: Businesses or other for-profits. *Estimated Total Burden Hours:* 125,000. *Bureau Clearance Officer:* Yvette Lawrence, Internal Revenue Service, 1111 Constitution Avenue, NW., Washington, DC 20224;
(202)927-4374. *OMB Reviewer:* Shagufta Ahmed, Office of Management and Budget, New Executive Office Building, Room 10235, Washington, DC 20503;
(202)395-7873. Dawn D. Wolfgang, Treasury PRA Clearance Officer. [FR Doc. 2011-24488 Filed 9-22-11; 8:45 am]
Connections9 off-index
9 references not yet in our index
  • Pub. L. 104-13
  • T.D. 9410
  • T.D. 9013
  • Rev. Proc. 2002-59
  • T.D. 9315
  • Pub. L. 111-240
  • 124 Stat. 2504
  • Pub. L. 111-312
  • 124 Stat. 3296
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cites case law
Notices
DEPARTMENT OF THE TREASURY
Pub. L.Pub. L. 104-13
Treas. Dec.T.D. 9410
Treas. Dec.T.D. 9013
Rev. Proc.Rev. Proc. 2002-59
Treas. Dec.T.D. 9315
Cites 9 · showing 5Cited by 0 across 0 sources
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