Rev. Rul. 74-622
Rev. Rul. 74-622; 1974-2 C.B. 405
- Cross-Reference
26 CFR 301.7805-1: Rules and regulations.
- Code Sections
- LanguageEnglish
- Tax Analysts Electronic Citationnot available
Revenue Procedure 67-6, 1967-1 C.B. 576, announced a program for the review of rulings published in the Internal Revenue Bulletin before 1953 with an objective of identifying and publishing lists of those rulings which, although not specifically revoked or superseded, are not considered determinative with respect to future transactions.
Consistent with the objectives of that program, the Internal Revenue Service has undertaken a review of certain rulings that were published in the Internal Revenue Bulletin after 1952. The purpose of this Revenue Ruling is to publish a list of post-1952 rulings relating primarily to the administrative provisions area of the Internal Revenue Code which, although not specifically revoked or superseded, are not considered determinative with respect to future transactions because (1) the applicable statutory provisions or regulations have been changed or repealed; (2) the ruling position is specifically covered by statute, regulations, or a subsequent published position; or (3) the facts set forth no longer exist or are not sufficient to permit application of the current statute. Accordingly, the rulings listed below are hereby declared to be obsolete:
Rev. Rul. No. C.B. Citation
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54-425 1954-2, 38
55-149 1955-1, 139
63-271 1963-2, 597
65-130 1965-1, 539
67-28 1967-1, 359
68-403 1968-2, 587
71-202 1971-1, 397
71-219 1971-1, 398
71-237 1971-1, 398
71-238 1971-1, 399
71-245 1971-1, 399
73-513 1973-2, 281
The purpose of this declaration of obsoleteness is to make clear to all concerned that the above-listed rulings in the administrative provisions area are not determinative with respect to future transactions. It is not the purpose of this Revenue Ruling to determine their applicability to past transactions.
Failure to include in this list of obsolete rulings any administrative provisions ruling published after 1952 should not be taken to imply that such has been determined to have continuing application to future transactions.
- Cross-Reference
26 CFR 301.7805-1: Rules and regulations.
- Code Sections
- LanguageEnglish
- Tax Analysts Electronic Citationnot available