🧪 TEST MODE ACTIVE Use test card: 4242 4242 4242 4242
Chief Counsel Advice 201638023 Released September 16, 2016 Advice

Entity-return disclosure to individual bankruptcy trustee must be denied

Apply this to your situation

This page covers one taxpayer's ruling from 2016, which can't be cited as precedent. Ezel answers your situation under the current Code and IRS guidance, with citations.

Currency note: this determination was released in 2016
Statutory amendments, regulation changes, court decisions, or later IRS guidance may have changed the analysis since then. Treat this page as historical context, not current tax advice. Verify current law before relying on any specific rule, threshold, or position mentioned here.
Not precedent. Under 26 U.S.C. § 6110(k)(3), this written determination may not be used or cited as precedent. It resolved one taxpayer's situation on its specific facts, and identifying details were redacted by the IRS before release. The official IRS release (linked on this page as a PDF) is the authoritative source.
About this page: The plain-English summary and ruling snapshot below were written by Ezel based on the official IRS release. The full text is the IRS's own document.
View official IRS release (PDF)

Plain-English summary

Chief Counsel addressed whether an individual bankruptcy trustee could receive return information for a related entity. The trustee for the individual was not also the trustee for the entity. Counsel advised that the disclosure request therefore had to be denied under IRC § 6103(e)(5).

Ruling snapshot

  • Question: Could an individual's bankruptcy trustee obtain return information for an entity when the trustee did not also represent that entity?
  • Outcome: Advice given, the disclosure request must be denied.
  • Key authorities: IRC § 6103(e)(5).

Full text (IRS public release)

ID:        CCA_2016080513503417
UILC:      6103.05-10

Number: 201638023
Release Date: 9/16/2016
From:
Sent: Friday, August 05, 2016 1:50:34 PM
To:
Cc:
Bcc:
Subject: FW: Bankruptcy disclosure issue we have been discussing


Hello ------------

See below that the individual trustee is not also trustee of the entity. Based on this
determination, the disclosure answer under 6103(e)(5) must be denial.




Hope this helps.

--------


Get today's answer for your situation

You just read what the IRS ruled for one taxpayer in 2016, and it can't be cited as precedent. Ezel checks the current Internal Revenue Code and IRS guidance and answers your specific situation, with citations.

Opens in Ezel Pro. Every answer cites the authority it relies on.