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1936 XV-1 C.B. i (1936)

handle is hein.usfed/ircb0034 and id is 1 raw text is: SPECIAL ATTENTION is directed to the cautionary notice on this page that pub.
lished rulings of the Bureau do not have the force and effect
of Treasury Decisions and that they are applicable only to facts presented in the published case
Treasury Department                :                         Bureau of Internal Revenue
Internal Revenue Bulletin
Cumulative Bulletin XV-1
JANUARY-JUNE, 1936
IN THIS ISSUE
pael
Introductory Notes                   ..............III
Contents        . . . .             ...........                                V-VII
Rulings Ns. 7885-8149-
Board of Tax Appeals ...              .  ..     .........                 1-18
Income Tax-
Part I (1936, 1935, and 1934 Acts) .          ...... .           49-148
Part II (1932 Act)      ...        .  ..........               149-158
Part II (1928 Act)       .  .   . . .   ........              159-263
Part IV (19,26and Prior Acts) .           .  .   ...    ..     264-340
Miscellaneous Taxes-
Estate and Gift Taxes ..            ..........                   341-372
Sales Tax    ....         ..     .............                373-419
Miscellaneous ....             .  .   ...........              420-478
Miscellaneous       4 .....           .  ............           .479-524
Index ...         ...........           .....      ........ .           525-541
The rulings reported in the Internal Revenue Bulletin are for the information of taxpayers and their counsel as
showing the trend of official opinion in the administration of the Bureau of Internal Revenue; the rulings other than
Treasury Decisions have none of the force or effec of Treasury Decisions and do not commit the Department to
any interpretation of the law which has not been formally approved and promulgated by the Secretary of the
Treasury. Each ruling embodies the administrative application of the law and Treasury Decisions to the entire
state of facts upon which a particular case rests. It is especially to be noted that the same result will not neces-
sarily be reached in another case unless all the material facts are identical with those of the reported case. As it is
not always feasible to publish a complete statement of the facts underlying each ruling, there can be no assurance
that any new case is identical with the reported case. As bearing out this distinction, it may be observed that the
rulings published from time to time may appear to reverse rulings previously published.
Officers of the Bureau of Internal Revenue are especially cautioned against reaching a conclusion in any case
merely on the basis of similarity to a published ruling, and should base their judgment on the application of all per-
tinent provisions of the law and Treasury Decisions to all the facts in each case. These rulings should be used as
aids in studying the law and its formal construction as made in the regulations and Treasury Decisions previously
issued.
In addition to publishing all Internal Revenue Treasury Decisions, it is the policy of the Bureau of Internal Revenue
to publish all rulings and decisions, including opinions of the Assistant General Counsel for the Bureau of Internal
Revenue, which, because they announce a ruling or decision upon a novel question or upon a question in regard
,to which there exists no previously published ruling or decision, or for other reasons, are of such importance as
to be of general interest. It is also the policy of the Bureau to publish all rulings or decisions which revoke, mudify,
amend, or affect in any manner whatever any published ruling or decision. In many instances opinions of the
Assistant General Counsel for the Bureau of Internal Revenue are not of general interest because they announce
no new ruling or no new construction of the revenue laws but simply apply rulings already made public to certain
situations of fact whiclkare without special significance. Itis not the policy of the Bureau to publish such opinions.
Therefore, the numbers assigned to the published opinions of the Assistant General Counsel for the Bureau of
Internal Revenue are not consecutive. No unpublished ruling or decision will be cited or relied upon by any officer
or employee of the Bureau of Internal Revenue as a precedent in the disposition of ether cases. Unless otherwise
Specifically indicated, all published rulings and decisions have received the consideration and approval of the
Assistant General Counsel for the Bureau of Internal Revenue.
UNITED STATES GOVERNMENT PRINTING OFFICE, WASHINGTON: 1936
For sale by the Superintendent of Documents; Washington, D.C.                        See back of title for prices

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