There are no links to the official documents for the years 1989 through 1995.
The information below can only be used as help for further research, as
there is not enough information here to rely on for official guidance.
For that you need to obtain a copy of the complete document.
INCOME TAX
Rev. Rul. 94-1
Federal rates; adjusted federal rates; adjusted federal long-term
rate, and the long-term exempt rate. For purposes of sections 1274,
1288, 382, and other sections of the Code, tables set forth the
rates for January 1994.
Rev. Rul. 94-2
Limited partnerships. A consolidation of all states whose versions
of the Revised Uniform Limited Partnership Act (RULPA) the Service
has determined correspond to the Uniform Limited Partnership Act
(ULPA) for purposes of section 301.7701-2 of the regulations. Rev.
Ruls. 93-2 and 93-45 superseded.
EMPLOYEE PLANS
Rev. Proc. 94-4
Rulings and determination letters; issuance procedures. Revised
procedures are provided for furnishing ruling letters, information
letters, etc., on matters relating to sections of the Code under the
jurisdiction of the Assistant Commissioner (Employee Plans and
Exempt Organizations). Rev. Proc. 93-4 superseded.
Rev. Proc. 94-5
Technical advice. Revised procedures are provided for furnishing
technical advice to Key District Directors and Chiefs, Appeals
Offices, by the Assistant Commissioner (Employee Plans and Exempt
Organizations) regarding issues in the employee plans (including
actuarial matters) and exempt organizations areas. Rev. Proc. 93-5
superseded.
Rev. Proc. 94-4
Employee plans determination letters. Revised procedures are
provided for issuing determination letters or, the qualified status
of employee plans under sections 401(a), 403(a), 409, and 4975 of
the Code. Rev. Proc. 93-6 superseded.
Rev. Proc. 94-8
User fees for employee plans and exempt organizations. Up-to-date
guidance for complying with the user fee program of the Service as
it pertains to requests for letter rulings, determination letters,
etc., on matters under the jurisdiction of the Assistant
Commissioner (Employee Plans and Exempt Organizations) is provided.
Rev. Proc. 93-23 superseded.
ADMINISTRATIVE
Rev. Proc. 94-1
Letter rulings; determination letters; information letters;
Associate Chief Counsel (Domestic), Associate Chief Counsel
(Employee Benefits and Exempt Organizations), Associate Chief
Counsel (Enforcement Litigation), and Associate Chief Counsel
(International). Revised procedures are provided for issuing letter
rulings, determination letters, and information letters on specific
issues under the jurisdiction of the Associate Chief Counsel
(Domestic), the Associate Chief Counsel (Employee Benefits and
Exempt Organizations), the Associate Chief Counsel (Enforcement
Litigation), and the Associate Chief Counsel (International). Rev.
Proc. 93-1 superseded. Rev. Proc. 93-23 superseded in part. Rev.
Procs. 91-22 and 92-20 modified.
Rev. Proc. 94-2
Technical advice to the District Directors and Chiefs, Appeals
Offices; Associate Chief Counsel (Domestic), Associate Chief Counsel
(Employee Plans and Exempt Organizations), Associate Chief Counsel
(Enforcement Litigation), and Associate Chief Counsel
(International). Revised procedures are provided for furnishing
technical advice to District Directors and Chiefs, Appeals Offices,
in areas under the jurisdiction of the Associate Chief Counsel
(Domestic), the Associate Chief Counsel (Employee Benefits and
Exempt Organizations), the Associate Chief Counsel (Enforcement
Litigation), and the Associate Chief Counsel (International).
Taxpayers rights when technical advice has been requested are also
set forth. Rev. Proc. 93-2 superseded.
Rev. Proc. 94-3
Areas in which advance rulings will not be issued; Associate Chief
Counsel (Domestic), and Associate Chief Counsel (Employee Benefits
and Exempt Organizations). This procedure provides a revised list of
those provisions of the Code under the jurisdiction of the Associate
Chief Counsel (Domestic) and the Associate Chief Counsel (Employee
Benefits and Exempt Organizations) relating to matters where the
Service will not issue advance rulings or determination letters.
Rev. Procs. 93-3, 93-3A, 93-45, and 93-43 superseded.
Rev. Proc. 94-7
Areas in which advance rulings will not be issued; Associate Chief
Counsel (International). This procedure provides a list of subject
matters under the jurisdiction of the Associate Chief Counsel
(International) in which the Service will not issue advance letter
rulings or determination letters. Rev. Proc. 93-7 superseded.
You can either: Search all IRS Bulletin Documents issued since January 1996, or Search the entire site. For a more focused search, put your search word(s) in quotes.
You can search either the entire GAO Reports section, or all of UncleFed 's
Tax*Board. For a more focused search, put your search word(s) in quotes.