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Internal Revenue Service memorandum

Office of Chief CounselInternal Revenue ServicememorandumNumber: 201425011 Release Date: 6/20/2014CC:PA:01:MEHaraPOSTF-123972-12 Third Party Communication: NoneDate of Communication: Not : February 21, 2014to: Joy E. Gerdy ZogbyGeneral Attorney (Washington) (Large Business & International) from: Bridget TombulSenior Technician Reviewer(Procedure & Administration) subject: Signatures on Partnership ReturnsThis Chief Counsel Advice responds to your request for assistance. This advice may not be used or cited as A=--------------State B=-----------Country C=------------Foreign Entity=--------------------------------- ---------------ISSUEW hether a Form 1065, Return of Partnership Income, that is not signed by a general partner or a limited liability company member manager is a valid return for purposes of starting the running of the period of limitations o

POSTF-123972-12 3 I.R.C. § 6063, entitled “Signing of partnership returns,” provides that “[t]he return of a partnership made under section 6031 shall be signed by any one of the partners.

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