Chief Counsel (CC) notices are directives that provide interim guidance, furnish temporary procedures, describe changes in litigating positions, or announce administrative information. Notices providing interim guidance or instructions to staff are designed to be incorporated into the Chief Counsel Directives Manual (CCDM), but are issued as notices to provide immediate notification of important policy or procedural changes.
The following list presents the notices that have not been incorporated into the CCDM yet, or otherwise remain active.
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Afiche 51 - 75 of 154
jwenn ?dNimewo | ³§¾±Âᨨ | Livre |
---|---|---|
CC-2016-010 | Correspondence to the Tax Division | 07/28/2016 |
CC-2016-009 | Updated Requirements for National Office Coordination | 06/30/2016 |
CC-2016-008 | Disregarding Frivolous CDP Hearing Requests under Section 6330(g) | 04/04/2016 |
CC-2016-007 | Application of the Results of TEFRA Partnership Procedures in Collection Due Process Cases | 03/21/2016 |
CC-2016-006 | PATH Act Amendments: Appellate Venue for CDP and Innocent Spouse Cases, Tax Court Jurisdiction and S-case Status for Interest Abatement Cases, and Applicability of Federal Rules of Evidence | 02/01/2016 |
CC-2016-005 | Discovery Obligations to Preserve Evidence, Including Electronically Stored Information | 01/28/2016 |
CC-2016-004 | Cancellation of Chief Counsel Notice 2014-007 Pursuant to PATH Act Section 209 | 12/30/2015 |
CC-2016-003 | FOIA Requests for Joint Committee on Taxation Information | 12/22/2015 |
CC-2016-002 | Change in Litigation Position regarding section 7436 Tax Court Jurisdiction | 12/17/2015 |
CC-2016-001 | Levy on Thrift Savings Plan Accounts | 12/07/2015 |
CC-2015-006 | Venue for Appeals from Decisions of the Tax Court | 06/30/2015 |
CC-2015-005 | Update to Supplement to Procedures for Ordering Tax Court Transcripts and Confirming Receipt of Transcripts | 04/07/2015 |
CC-2015-004 | Supplement to Procedures for Ordering Tax Court Transcripts and Confirming Receipt of Transcripts | 03/17/2015 |
CC-2015-003 | Correspondence to the Tax Division | 03/16/2015 |
CC-2015-002 | Correspondence to the Tax Division | 01/15/2015 |
CC-2015-001 | Guidance for certain employment tax cases (including employment tax issues in CDP cases) | 12/05/2014 |
CC-2014-010 | Change in Delegation Authority for Appointment of Receiver | 09/09/2014 |
CC-2014-009 | Processing National Office Reviewed Field Advice for Release to the Public | 09/09/2014 |
CC-2014-008 | Delegation of Authority to Hear and Decide Disciplinary Appeals Under Circular 230 | 09/09/2014 |
CC-2014-007 | Application of the Accuracy-Related or Fraud Penalty in Tax Court Cases Involving Disallowed Refundable Credits | 07/31/2014 |
CC-2014-006 | Correspondence to the Tax Division | 06/18/2014 |
CC-2014-005 | Updated Requirements for National Office Coordination | 05/20/2014 |
CC-2014-004 | Written Supervisory Approval Not Required to Assess Certain IRC 6702 Penalties | 05/20/2014 |
CC-2014-003 | Communications With Pro Se Petitioners and Form 2848 Representatives in Tax Court Litigation | 05/15/2014 |
CC-2014-002 | Proper Standard of Review for Collection Due Process Determinations | 03/03/2017 |