The AICPA's comment letter to Treasury and the IRS requests guidance addressing transition relief for fiscal year filers, extension of the limited hours exception, the nonexempt funds exception and the limited services exception, and provide a regulatory exception for unpaid public volunteers from being treated as “covered employees".
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AICPA Comment Letter on Section 4960 Transition Relief
May 01, 2026 · 239.1 KB Download
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Download the AICPA Comment Letter on Section 4960 Transition Relief
File name: AICPA 4960 Transition Relief Comment Letter.pdf
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