Internal Revenue Bulletins  

May 05, 2003

Internal Revenue Bulletin No. 2003-18

Links to Official IRS Bulletin Documents listed below are in the Adobe Acrobat PDF Format, and require the appropriate Acrobat Reader to view and/or print.

INCOME TAX

Notice 2003-22(PDF, 24K)
This notice addresses an abusive arrangement designed to circumvent longstanding tax principles and enable the evasion of income and employment taxes on compensation income through the use of unrelated conduit domestic and foreign employee leasing companies.

Rev. Rul. 2003-44(PDF, 22K)
Low-income housing credit; satisfactory bond; "bond factor" amounts for the period April through June 2003. This ruling announces the monthly bond factor amounts to be used by taxpayers who dispose of qualified low-income buildings or interests therein during the period April through June 2003.

EMPLOYEE PLANS

Notice 2003-24(PDF, 32K)
Collectively-bargained welfare plans; section 419A(f)(5); listed transactions. This notice describes certain abusive situations that may arise where a trust arrangement seeks to qualify for the exception for collectively-bargained welfare benefit plans under section 419A(f)(5) of the Code. The notice states that the Service invites comments on the issue and that certain of the arrangements are listed transactions.

EXEMPT ORGANIZATIONS

Announcement 2003-26(PDF, 12K)
Clinica Materno Infantil Plaza 3030, Inc., of Hollywood, Florida no longer qualifies as an organization to which contributions are deductible under section 170 of the Code.

EMPLOYMENT TAX

Notice 2003-22(PDF, 24K)
This notice addresses an abusive arrangement designed to circumvent longstanding tax principles and enable the evasion of income and employment taxes on compensation income through the use of unrelated conduit domestic and foreign employee leasing companies.

Notice 2003-25(PDF, 13K)
Canadian retirement plan trust reporting. Extension of time to file 2002 Forms 3520 and 3520-A with respect to certain Canadian retirement plans and suspension of requirement to file Form 3520-A with respect to certain Canadian retirement plans for which an election has been made under Rev. Proc. 2002-23.

Notice 2003-26(PDF, 23K)
Public comments are requested for items that should be included on the 2003-2004 Guidance Priority List. Taxpayers may submit recommendations at any time during the year. All recommendations received by May 15, 2003, will be reviewed for possible inclusion on the original 2003-2004 Guidance Priority List. Recommendations received after May 15, 2003, will be reviewed for inclusion in the quarterly updates if received by August 31, 2003; November 30, 2003; or February 28, 2004, respectively.

Rev. Proc. 2003-34(PDF, 35K)
Changes in accounting periods; approval. Procedures are provided modifying the term and condition for the Commissioner's approval to change an annual accounting period under which the taxpayer generally is precluded from carrying back a net operating loss or capital loss generated in the short taxable year. Rev. Procs. 2002-37 and 2002-39 modified.

Rev. Proc. 2003-36(PDF, 28K)
This document provides guidance to business taxpayers, industry associations, and other interested parties to submit issues for consideration under the Service's Industry Issue Resolution (IIR) Program. The objective of the IIR Program is to identify frequently disputed or burdensome tax issues that are common to a significant number of business taxpayers that may be resolved through published or other administrative guidance. Notice 2002-20 superseded.

Rev. Rul. 2003-36(PDF, 18K)
Executors, relief from joint and several liability. This ruling provides for an executor (including any other duly appointed representative) to pursue an existing request for relief from joint and several liability or file a request for relief on behalf of a decedent. Section 6903 of the Code provides that any person acting for another person in a fiduciary capacity assumes the rights of that person. This ruling concludes that the authority granted to fiduciaries in section 6903 includes the authority for an executor (including any other duly appointed representative) to seek relief pursuant to section 6015.

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