Loading
Loading
Your feedback directly shapes Sporos.
Sign in to track your feedback history
This document contains corrections to Treasury Decision 9889, which was published in the Federal Register on Monday, January 13, 2020. Treasury Decision 9889 contained final regulations under the Internal Revenue Code (Code) that govern the extent to which taxpayers may elect the Federal income tax benefits with respect to certain equity interests in a qualified opportunity fund (QOF).
Published
Aug 5, 2021
Effective
Aug 5, 2021
Citation
86 FR 42716
Agencies
2
Full text not available in our database.
View on Federal Register →Get a plain-English explanation of what this regulation does, which agencies are responsible, and how it affects existing rules.
No document text available yet
TD 9889
26 CFR 1