Revenues from shared-branching arrangements are among the items subject to the unrelated business income tax, according to an IRS technical advice memorandum.
What does TAM stand for?
TAM stands for Technical Advice Memorandum (IRS)
This definition appears very frequently and is found in the following Acronym Finder categories:
- Military and Government
See other definitions of TAM
We have 237 other meanings of TAM in our Acronym Attic
- Task Area Monitor
- Task Assignment Memorandum
- Task Assignment Metric
- Task Authorization Memorandum
- Tax Authority Master
- Taxi Aéro Marilia (Brazilian Air Line)
- Te Amo Muito
- Team Action Meeting
- Team Activity Manager (job title)
- Technical Account Manager
- Technical Area Manager
- Technology Acceptance Model
- Technology Area Manager
- Telecom Application Map (TM forum)
- Telecommunications Applications Map
- Telecommunications Association of Maryland
- Telecommunications Association of Michigan
- Telenet Access Management system
- Telephone Answering Machine
- Telephone Association of Maine
Samples in periodicals archive:
The task force also said recently issued Technical Advice Memorandum 200607021 (www.
Specifically, TEI commented on IRS Chief Counsel Notice CC-2006-013, which was issued on May 5, 2006, to address how the recommendations of the Case Specific Advice Task Force would be implemented to improve through the Technical Advice Memorandum process.
A Technical Advice Memorandum that Edison received from the IRS on Jan.
The first shot in what appears likely to be a protracted battle in the ongoing unrelated business income tax (UBIT) war came in late June 1993, when the IRS issued Technical Advice Memorandum 9345004.
NYSE: TGH) today said it has received a National Office Technical Advice Memorandum from the Internal Revenue Service allowing the company to deduct its 1997 $175 million payment to the Commonwealth of Virginia as an ordinary and necessary business expense.
The May 5, 2006, notice provides recommendations of the Case Specific Task Force on improving the manner in which the Office of Chief Counsel provides legal advice to IRS personnel through the Technical Advice Memorandum (TAM) process.
Technical Advice Memorandum 200437030 discusses the question of administrable impracticality in an evaluation of how gift certificates should be treated.