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Rev. Rul. 76-566


Rev. Rul. 76-566; 1976-2 C.B. 450

DATED
DOCUMENT ATTRIBUTES
  • Cross-Reference

    26 CFR 301.7805-1: Rules and regulations.

  • Code Sections
  • Language
    English
  • Tax Analysts Electronic Citation
    not available
Citations: Rev. Rul. 76-566; 1976-2 C.B. 450
Rev. Rul. 76-566

Rev. Proc. 67-6, 1967-1 C.B. 576, announced a program for the review of rulings published before 1953 with the immediate objective of identifying and publishing lists of those rulings that, although not specifically revoked or superseded, are not considered determinative with respect to future transactions.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 dealing primarily with engineering and corporate reorganization matters that, although not specifically revoked or superseded, are not considered determinative with respect to future transactions because (1) the applicable statutory provisions have been changed or repealed; (2) the ruling position is specifically covered by statute, regulations, or a subsequent published position; or (3) the facts set forth no longer exist or are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 declared obsolete.

 Rev. Rul. No.       C.B. Citation

 

    76                1953-1, 176

 

    55-118            1955-1, 320

 

    55-180            1955-1, 358

 

    55-352            1955-1, 372

 

    55-430            1955-2, 276

 

    55-657            1955-2, 276

 

    56-287            1956-1, 186

 

    58-54             1958-1, 181

 

    58-593            1958-2, 920

 

 

The purpose of this declaration of obsolescence is to make it clear to all concerned that the above-listed rulings are not determinative with respect to future transactions. It is not the purpose of this Revenue Ruling to determine their applicability to past transactions.

Other rulings published after 1952 relating to engineering and corporate reorganization matters will continue to be reviewed to ascertain those that are inapplicable to future transactions. Therefore, failure to include any particular ruling in the above list should not be construed as an indication that the ruling necessarily is determinative with respect to future transactions.

DOCUMENT ATTRIBUTES
  • Cross-Reference

    26 CFR 301.7805-1: Rules and regulations.

  • Code Sections
  • Language
    English
  • Tax Analysts Electronic Citation
    not available
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