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Section. 26 U.S. Code § 6111 - Disclosure of reportable transactions. U.S. Code. Notes. prev | next. (a) In general Each material advisor with respect to any reportable transaction shall make a return (in such form as the Secretary may prescribe) setting forth— (1) information identifying and describing the transaction, (2)
Disclosure Of Reportable Transactions. I.R.C. § 6111 (a) In General —. Each material advisor with respect to any reportable transaction shall make a return (in such form as the Secretary may prescribe) setting forth—. I.R.C. § 6111 (a) (1) —.
(f) Designation agreements. If more than one material advisor is required to disclose a reportable transaction under this section, the material advisors may designate by written agreement a single material advisor to disclose the transaction.
1 Φεβ 2022 · The IRS determines whether the ruling request itself satisfies the disclosure requirement (Regs. Sec. 1. 6011-4 (f)(1)). A taxpayer may make a protective disclosure by following the requirements of this rule.
steps carried out as part of a plan. (1) Transaction that is a section 6111 tax shelter. A section 6111 tax shelter is any transaction that is required to be registered with the IRS under section 6111, regardless of whether that tax shelter is properly registered pursuant to section 6111.
§6111. Disclosure of reportable transactions. (a) In general. Each material advisor with respect to any reportable transaction shall make a return (in such form as the Secretary may prescribe) setting forth- (1) information identifying and describing the transaction,