{"id":13882,"date":"2019-02-06T13:32:00","date_gmt":"2019-02-06T18:32:00","guid":{"rendered":"https:\/\/actec.matrixdev.net\/?post_type=announcement&p=13882"},"modified":"2023-10-17T15:20:43","modified_gmt":"2023-10-17T19:20:43","slug":"tax-notes-recognizes-actecs-comments-to-treasury-regarding-section-199a","status":"publish","type":"announcement","link":"https:\/\/actec.matrixdev.net\/announcement\/tax-notes-recognizes-actecs-comments-to-treasury-regarding-section-199a\/","title":{"rendered":"Tax Notes Recognizes ACTEC’s Comments to Treasury Regarding Section 199A"},"content":{"rendered":"\n
Jonathan Curry recognizes ACTEC\u2019s comments to Treasury in his article\u00a0Trust and Estate Practitioners Notch Win in 199A Regs<\/em>\u00a0in the January edition of\u00a0Tax Notes<\/a>\u00a0\u00a0(Volume 162, Number 4, January 28, 2019, pages 428-430).\u00a0 In September ACTEC submitted detailed comments to Treasury Notice 83 Fed. Reg. 40884,\u00a0IRS and REG-107892-18: Comments on Proposed Regulations under Sections 199A and 643(f)<\/a>. As Curry reports, \u201cThe American College of Trust and Estate Counsel (ACTEC) had requested further explanation or modification of seven issues and Treasury obliged on several of them.\u201d<\/p>\n\n\n\n