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IRS Revenue Ruling
1997-16Code Sec. 42
<<FULL TEXT>>
Low-income housing credit; satisfactory bond; "bond factor"
amount for
the period January through March 1997. This ruling announces
the monthly
bond factor amounts to be used by taxpayers who dispose of
qualified
low-income buildings or interests therein during the period
January
through March 1997.
REV. RUL. 97-16
In Rev. Rul. 90-60, 1990-2 C.B. 3, the Internal Revenue
Service
provided guidance to taxpayers concerning the general
methodology used by
the Treasury Department in computing the bond factor amounts
used in
calculating the amount of bond considered satisfactory by
the Secretary
under section 42(j)(6) of the Internal Revenue Code. It
further announced
that the Secretary would publish in the Internal Revenue
Bulletin a table
of "bond factor" amounts for dispositions occurring during
each calendar
month.
This revenue ruling provides in Table 1 the bond factor
amounts for
calculating the amount of bond considered satisfactory under
section
42(j)(6) for dispositions of qualified low-income buildings
or interests
therein during the period January through March 1997.
TABLE 1 REV. RUL. 97-16
Monthly Bond Factor Amounts for Dispositions Expressed As a
Percentage
of Total Credits
Calendar Year Building Placed in Service
or, if Section 42(f)(1) Election Was Made,
the Succeeding Calendar Year
------------------------------------------------------
Month of
Disposition 1987 1988 1989 1990 1991 1992
----------- ---- ---- ---- ---- ---- ----
Jan' 97 79.70 82.08 84.67 87.70 91.25 95.32
Feb' 97 79.46 81.83 84.41 87.43 90.96 95.00
Mar' 97 79.23 81.59 84.15 87.16 90.67 94.69
1993 1994 1995 1996 1997
---- ---- ---- ---- ----
Jan' 97 99.53 103.58 107.56 111.85 112.52
Feb' 97 99.17 103.18 107.11 111.28 112.52
Mar' 97 98.83 102.81 106.69 110.79 112.52
For a list of bond factor amounts applicable to dispositions
occurring
during other calendar years, see the following revenue
rulings: Rev. Rul.
90-60, 1990-2 C.B. 3, for dispositions occurring during
calendar years
1987, 1988, and 1989; Rev. Rul. 90-88, 1990-2 C.B. 7, for
dispositions
occurring during calendar year 1990; Rev. Rul. 91-67, 1991-2
C.B. 13, for
dispositions occurring during calendar year 1991; Rev. Rul.
92-101, 1992-2
C.B. 9, for dispositions occurring during calendar year
1992; Rev. Rul.
93-83, 1993-2 C.B. 6, for dispositions occurring during
calendar year
1993; Rev. Rul. 94-71, 1994-2 C.B. 4, for dispositions
occurring during
calendar year 1994; Rev. Rul. 95-83, 1995-2 C.B. 8, for
dispositions
occurring during calendar year 1995; Rev. Rul. 96-16, 1996-1
C.B. 3, for
dispositions occurring during the period January through
March 1996; Rev.
Rul. 96-33, 1996-27 I.R.B. 4, for dispositions occurring
during the period
April through June 1996; Rev. Rul. 96-45, 1996-39 I.R.B. 5,
for
dispositions occurring during the period July through
September 1996; and
Rev. Rul. 96-59, 1996-50 I.R.B. 4, for dispositions
occurring during the
period October through December 1996.
DRAFTING INFORMATION
The principal author of this revenue ruling is Jack Malgeri
of the
Office of Assistant Chief Counsel (Passthroughs and Special
Industries).
For further information regarding this revenue ruling,
contact Mr. Malgeri
at (202) 622-3040 (not a toll-free call).
<<END RULING>>
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