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B-171667 1 (1971-03-02)

handle is hein.gao/gaobacson0001 and id is 1 raw text is: 


                 COMPTROLLER GENERAL OF THE UNITED STATES
                            WASHINGTON. D.C. 20540



                                     B -1  1667                -AR 1971


ir, F. C, Fenton
Atborised Certifying Officer
Internal Revenue Service
U.  . Treasury Department
870 yarket Street
san  raulicoiilforia      yv

Dear Mr. Fenton:
    we refer to your letter of December 23, 1970  (your reference AdFF),
writh an enclosed voucher for $50 in favor of Mr. Robert M. Solomn,
covering an expense incurred by his incident. to maintaining his status as
   sattorney in good standing of the State Bar of California. You request
   advance decision as to the propriety of certifying the voucher for
   pamnt.

   %e   pertinent facts are stated in your letter as follows:

   1.   Robert M. Solomon, Estate Tax Attorney, is a menber of
         the State Bar of California, as required by law.  The
         State Bar taposes an annual fee for membership on all
         of its members.  Mr. Solomon was admitted in January,
         196& and his fee for the-year 1970 in $50,00.

    2.  As explained in Mr. Solomon's memorandum dated Novem-
         ber 5, 1970 (Enclosure 3)L an Estate Tax Attorney
         (08-905-13) is required to be a member in good standing
         of the bar of one of the states or the District of
         Columbia.  If that employee. 19 not a member in good
         standing of a state bar, he will be separated from his
         employment.

     3.   he State of California requires that each member
         pay the annual membership fee or be dropped from the
         rolls of attorneys in the state.  This vould result in
         Mr. Solomon being separated from his employment with
         the Internal Revenue Service..

    Calification requirements  for various positions in the Federal
       are established pursuant to the authority provided in 5 U.S.C.
       5112.      r. this basic authority it has been determined that
   lac

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