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IRS Written Determinations

Free IRS private letter rulings, technical advice memoranda, and Chief Counsel advice with plain-English summaries and the official IRS release on every page.

10,109 determinations and counting · Newest release July 31, 2026
10,109 determinations

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DET

Scholarships for local student athletes are approved

A private foundation proposed tuition scholarships for public high school student athletes from a specified location who planned to attend accredited colleges or universities. Applicants would submit …

201703015·January 20, 2017
Approved
DET

Condominium business park does not qualify as an employee-benefit association

A condominium business park sought exemption as a voluntary employees' beneficiary association under section 501(c)(9). Its members joined by purchasing condominium units, and membership was not volun…

201703014·January 20, 2017
Denied
CCA

Fixed-indemnity health payments are taxable when coverage was paid pre-tax

The advice addresses employer fixed-indemnity health and wellness plans that pay preset cash amounts without tying payments to actual medical expenses. When employees pay premiums with after-tax wages…

201703013·January 20, 2017
Advice
PLR

IRS approves liability, debt exchange, and retained-stake issues in corporate spinoff

A public company planned to separate one business into a newly public controlled corporation through contributions, debt assumptions, securities and cash transfers, and distributions of controlled sto…

201703012·January 20, 2017
Approved
PLR

Estate receives extension to elect portability for surviving spouse

An estate failed to timely file Form 706 to elect portability of the decedent's unused estate tax exclusion. The decedent's gross estate was represented to be below the basic exclusion amount, and no …

201703011·January 20, 2017
Approved
PLR

Consolidated group receives 60 days to elect extended NOL carryback

A consolidated corporate group incurred a consolidated net operating loss that it wanted to carry back for the extended three-, four-, or five-year period formerly available under section 172(b)(1)(H)…

201703010·January 20, 2017
Approved
PLR

Surviving spouse receives time to file estate's portability election

A surviving spouse acting for an estate discovered that Form 706 had not been filed by the deadline for electing portability. The estate represented that the decedent's gross estate was below the basi…

201703009·January 20, 2017
Approved
PLR

Estate may make late portability election within 120 days

An estate did not file the estate tax return required to elect portability for the surviving spouse by the original deadline. It represented that the decedent's gross estate, including taxable gifts, …

201703008·January 20, 2017
Approved
PLR

Missed portability election receives 120-day filing extension

An estate missed the Form 706 deadline for electing portability of the decedent's unused exclusion to the surviving spouse. It represented that the gross estate, including taxable gifts, was below the…

201703007·January 20, 2017
Approved
PLR

Late portability filing approved for estate below filing threshold

An estate failed to file Form 706 by the deadline to elect portability for the surviving spouse. It represented that the decedent's gross estate, including taxable gifts, remained below the basic excl…

201703006·January 20, 2017
Approved
PLR

Community hospital lease furthers charity and avoids debt-financed property treatment

A nonprofit association had long operated a small community hospital but faced declining reimbursements, limited capital, and insufficient scale. A state-commissioned study recommended affiliation wit…

201703005·January 20, 2017
Approved
PLR

Pre-existing IP licenses qualify for indirect-self-dealing exception

A private foundation inherited intellectual-property rights in a long-running television show together with licensing agreements granting a company owned by Y exclusive rights to exploit those assets.…

201703004·January 20, 2017
Approved
PLR

IP licenses avoid self-dealing and passive royalty entities avoid excess holdings

A private foundation inherited intellectual-property rights in a long-running television show and agreements granting Y's company exclusive licensing rights. It proposed transferring the assets and ag…

201703003·January 20, 2017
Approved
PLR

Temporary business hardship supports conditional pension funding waiver

A privately owned circuit-board-products manufacturer requested a waiver of its remaining 2015 minimum required pension contribution. It reported a sharp revenue decline, increased operating expenses,…

201703002·January 20, 2017
Approved
PLR

Estate receives 120-day extension to elect portability

An estate missed the deadline to file Form 706 and elect portability of the decedent's unused exclusion amount to the surviving spouse. The spouse, acting as executrix, represented that the gross esta…

201703001·January 20, 2017
Approved
DET

Captive insurer denied section 501(c)(15) exemption

A foreign captive company claimed exemption as a small insurance company under section 501(c)(15). It issued fourteen direct-written contracts covering affiliated businesses and participated in quota-…

201702048·January 13, 2017
Denied
DET

Scholarship procedures receive advance approval

A private foundation proposed scholarships for U.S. students pursuing undergraduate or graduate degrees while working to advance American Muslim inclusion or reduce anti-Muslim discrimination. Applica…

201702047·January 13, 2017
Approved
DET

Tuition-assistance procedures receive advance approval

A private foundation proposed tuition assistance for current students who might withdraw from a school because of financial hardship and prospective students whose families had not enrolled them becau…

201702046·January 13, 2017
Approved
DET

Employer-related scholarship procedures receive advance approval

A private foundation proposed scholarships for children of lower-paid employees who had worked for a company for at least two years. An independent committee would select 20 to 30 recipients annually …

201702045·January 13, 2017
Approved
DET

Weekly market operator loses business-league exemption

An organization recognized under section 501(c)(6) operated a weekly open-air downtown market where members sold locally grown products, prepared food, and handicrafts. Members paid for selling space,…

201702044·January 13, 2017
Denied
DET

Art gallery does not qualify as a social club

An organization formed to promote artists applied for exemption as a social club under section 501(c)(7). Its members and consignment artists displayed artwork for sale in a leased gallery, paid fees …

201702043·January 13, 2017
Denied
DET

Online clothing seller fails the charitable operational test

An organization planned to design and sell clothing online, donate a similar item for each item sold, and give any remaining money to people in need or to charitable organizations. Its compensated off…

201702042·January 13, 2017
Denied
DET

Restaurant operations defeat charitable exemption

An organization proposed domestic-violence education, survivor assistance, youth programs, and other charitable activities, but expected two public restaurants to provide most of its revenue. The rest…

201702041·January 13, 2017
Denied
DET

Provider-promotion activities cause exemption revocation

A section 501(c)(3) organization served as a collective voice for health-care providers during changes in a local health-care system. It helped members influence rates and policies, advocated for them…

201702040·January 13, 2017
Revocation
DET

Family-focused residential care causes exemption revocation

A private foundation operated a single-family home for one severely developmentally disabled person who was the chief executive's son. The organization also reported providing services for a period to…

201702039·January 13, 2017
Revocation
PLR

Employer-related scholarship procedures approved

A private foundation requested advance approval for two scholarship programs serving children of a company's employees. One program offered a renewable scholarship for full-time bachelor's degree stud…

201702038·January 13, 2017
Approved
CCA

Annuity applicant appears to exceed exemption receipts limit

A foreign applicant sought exemption under section 501(c)(15) as an insurance company other than a life insurance company. It received large purchase payments under contracts labeled as deferred varia…

201702037·January 13, 2017
Advice
PLR

Interest apportionment may switch to tax book value

A domestic parent corporation had used the fair market value method to value assets when apportioning interest expense. Treasury regulations generally require a taxpayer and related persons to continu…

201702036·January 13, 2017
Approved
PLR

Integrated section 338 election and spin-off receive specified rulings

A public company proposed separating one business into a newly formed controlled corporation through a multi-step transaction. The plan included asset distributions, a stock transfer followed by a sec…

201702035·January 13, 2017
Approved
PLR

FCC spectrum sale qualifies as threatened involuntary conversion

A television station planned to relinquish its spectrum-based broadcast rights and related assets through the FCC's incentive auction, then reinvest the proceeds in similar or related property. If it …

201702034·January 13, 2017
Approved
PLR

Estate receives 120 days to elect portability

An estate missed the deadline to file Form 706 and elect portability of the decedent's unused estate-tax exclusion for the surviving spouse. The estate represented that the gross estate, including tax…

201702033·January 13, 2017
Approved
PLR

Tax-professional error supports late portability relief

An estate missed the deadline to file Form 706 and elect portability of the decedent's unused estate-tax exclusion for the surviving spouse. The estate represented that it was below the filing thresho…

201702032·January 13, 2017
Approved
PLR

Reliance on tax professional supports portability extension

An estate failed to file Form 706 by the deadline needed to elect portability of the decedent's unused estate-tax exclusion for the surviving spouse. The estate represented that it was below the secti…

201702031·January 13, 2017
Approved
PLR

Estate gets portability relief after professional oversight

An estate did not timely file Form 706 to elect portability of the decedent's unused estate-tax exclusion for the surviving spouse. It represented that the estate was below the section 6018(a) filing …

201702030·January 13, 2017
Approved
PLR

Retiree trust surplus may fund current employee benefits

A utility holding company maintained a voluntary employees' beneficiary association whose assets exceeded the value of its retiree health obligations. It proposed transferring part of that surplus onc…

201702029·January 13, 2017
Approved
PLR

Professional reliance permits late portability election

An estate missed the deadline to file Form 706 and elect portability of the decedent's unused estate-tax exclusion for the surviving spouse. It represented that the estate was below the section 6018(a…

201702028·January 13, 2017
Approved
PLR

Late success-based fee election statement allowed

A company acquired all the stock of a target and incurred success-based advisory fees. Its return reflected the Rev. Proc. 2011-29 safe harbor by capitalizing 30% of those fees and treating 70% as non…

201702027·January 13, 2017
Approved
PLR

Estate receives 120-day portability extension

An estate missed the deadline to file Form 706 and elect portability of the decedent's unused exclusion amount for the surviving spouse. The estate represented that it was below the section 6018(a) fi…

201702026·January 13, 2017
Approved
PLR

Pre-discovery request supports portability relief

An estate failed to file Form 706 by the deadline for electing portability of the decedent's unused estate-tax exclusion for the surviving spouse. It represented that the estate was below the section …

201702025·January 13, 2017
Approved
PLR

Late section 336(e) election receives conditional relief

A purchaser acquired all the stock of an S corporation target in a transaction represented to be a qualified stock disposition. The parties intended to make a section 336(e) election, but the sharehol…

201702024·January 13, 2017
Approved
PLR

Surviving spouse receives portability election relief

A surviving spouse serving as executor missed the deadline to file Form 706 and elect portability of the decedent's unused estate-tax exclusion. The executor represented that the gross estate was belo…

201702023·January 13, 2017
Approved
PLR

Acquisition fee safe-harbor election gets 60-day extension

A taxpayer incurred a contingent financial-adviser fee in acquiring an early-childhood education company. Internal information failures caused the tax department and outside accounting firm to treat t…

201702022·January 13, 2017
Approved
PLR

Unusual circumstances allow late Form 3115

A construction contractor changed its accounting method for prepaid insurance expenses under the automatic-change procedures. Its timely S corporation return reflected the new method, referenced Form …

201702021·January 13, 2017
Approved
PLR

Professional error permits late portability filing

An estate failed to file Form 706 by the deadline for electing portability of the decedent's unused estate-tax exclusion for the surviving spouse. The estate represented that it was below the section …

201702020·January 13, 2017
Approved
PLR

Parent group gets 60 days for consolidated return election

A parent corporation acquired another affiliated group, whose members then joined the parent's group. The parent intended to elect consolidated-return treatment for the first applicable year but did n…

201702019·January 13, 2017
Approved
PLR

Independent-trustee changes preserve transfer-tax treatment

A trust created and made irrevocable before September 25, 1985 needed new trustee provisions after the law firm designated to supply successor trustees dissolved. A proposed settlement would require a…

201702018·January 13, 2017
Approved
PLR

Successor-trustee revisions preserve GST exemption

A separate trust created under a pre-1985 irrevocable trust instrument needed revised successor-trustee rules after the designated law firm dissolved. The settlement would require an independent trust…

201702017·January 13, 2017
Approved
PLR

Administrative trustee revisions keep GST grandfathering

One of three separate trusts under a pre-1985 irrevocable instrument needed updated trustee provisions because the law firm named to provide successors had dissolved. The proposed settlement required …

201702016·January 13, 2017
Approved
PLR

Physical-injury damages are excluded from income

A taxpayer received a redacted payment for actual damages arising from a criminal-law violation that caused personal physical injuries. Section 104(a)(2) excludes damages received on account of person…

201702015·January 13, 2017
Approved
PLR

Missed QSST election causes only inadvertent S termination

Stock in an S corporation passed under a will to a trust that was an eligible shareholder for two years. After that period, the trust became ineligible because its beneficiary had not filed the electi…

201702014·January 13, 2017
Approved
PLR

Bankruptcy trust extension preserves liquidating status

A trust created under a confirmed Chapter 11 plan existed to liquidate and distribute bankruptcy-estate assets. Its agreement limited investments and cash retention, required at least annual distribut…

201702013·January 13, 2017
Approved
PLR

Foreign entity gets late disregarded classification election

A foreign eligible entity's indirect owner intended the entity to be disregarded for federal tax purposes from its formation date. The entity failed to file Form 8832 on time. The IRS concluded that t…

201702012·January 13, 2017
Approved
PLR

Foreign entity receives late disregarded status relief

A foreign eligible entity's owner intended the entity to be disregarded for federal tax purposes from its formation date. The entity failed to file Form 8832 on time. The IRS concluded that the entity…

201702011·January 13, 2017
Approved
PLR

Foreign entity gets late disregarded classification election

A foreign eligible entity's owner intended the entity to be disregarded for federal tax purposes from its formation date. The entity failed to file Form 8832 on time. The IRS concluded that the entity…

201702010·January 13, 2017
Approved
PLR

Unspent Build America Bond proceeds do not defeat prior credits

A bond issuer planned to use tax-exempt refunding bonds to redeem Direct-pay Build America Bonds while some original project proceeds remained unspent. It represented that the remaining proceeds and t…

201702009·January 13, 2017
Approved
PLR

Physical-injury damages are excluded from income

An individual received damages to compensate for actual harm caused by a criminal-law violation that resulted in personal physical injuries. The IRS concluded that the payment was received on account …

201702008·January 13, 2017
Approved
PLR

Missed ESBT election receives inadvertent termination relief

A trust acquired shares of an S corporation, but its trustee failed to make a timely electing small business trust election. The trust therefore became an ineligible shareholder, terminating both the …

201702007·January 13, 2017
Approved
PLR

Pro rata trust divisions preserve existing tax treatment

Two irrevocable trusts created before September 25, 1985 proposed dividing into separate, pro rata subtrusts for each of three children and their descendants. The IRS ruled that the divisions would pr…

201702006·January 13, 2017
Approved
PLR

Pro rata trust divisions preserve existing tax treatment

Two irrevocable trusts created before September 25, 1985 proposed dividing into separate, pro rata subtrusts for each of three children and their descendants. The IRS ruled that the divisions would pr…

201702005·January 13, 2017
Approved
PLR

Estate may deduct a bequest to a foreign charity

A U.S. citizen's will conditionally left foreign-situs property to a foreign nonprofit serving handicapped and elderly people. The organization prohibited private inurement, lobbying, and political ac…

201702004·January 13, 2017
Approved

What these documents are

  • Private letter rulings (PLRs): A taxpayer asked the IRS to rule on a planned transaction before doing it. The ruling shows exactly how the IRS applied the Code to those facts.
  • Technical advice memoranda (TAMs): The IRS National Office answering a question raised during an audit or other proceeding.
  • Chief Counsel advice (CCAs): IRS lawyers advising their own field staff on how to apply the law.
  • Determination letters: Rulings on exempt-organization matters, such as whether an organization qualifies under § 501(c)(3) or a foundation's grant procedures pass § 4945.
  • Not precedent, still useful: Under 26 U.S.C. § 6110(k)(3) none of these can be cited as precedent. They remain the best public window into how the IRS actually rules on facts like yours, and practitioners read them for exactly that.