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IRB 1999-6 2/3/99 1:39 PM Page 1 Internal ... - IRS tax forms

INCOME TAXRev. Rul. 99 5, page entity to ruling describesthe federal income tax consequences when a single memberlimited liability company that is disregarded as an entity sep-arate from its owner under section 3 of the Pro-cedure and Administration Regulations becomes an entitywith more than one owner that is classified as a partnershipfor federal tax Rul. 99 6, page to disregarded ruling describesthe federal income tax consequences if one person pur-chases all of the ownership interests in a domestic limited li-ability company (LLC) that is classified as a partnershipunder section 3 of the Procedure and Administra-tion Regulations, causing the LLC s status as a partnershipto terminate under section 708(b)(1)(A) of the Rul.

Following Ownership Change The adjusted federal long-term rate is set forth for the month of February 1999. See Rev. Rul. 99–8, page 10. Section 411.—Minimum Vesting Standards 26 CFR 1.411(d)–4: Section 411(d)(6) protected benefits. T.D. 8806 DEPARTMENT OF THE TREASURY Internal Revenue Service 26 CFR Part 1 Employee Stock Ownership Plans ...

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Transcription of IRB 1999-6 2/3/99 1:39 PM Page 1 Internal ... - IRS tax forms

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