The AICPA is urging the Treasury and the IRS to provide additional clarity and simplification around three recent Corporate Alternative Minimum Tax (CAMT) notices. The group’s letter includes comments on Notices 2025-46, 2025-49 and 2026-7 and the issues within these notices that have not been addressed.
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AICPA Comment Letter on CAMT Notices 2025-46, 2025-49 and 2026-7
Aug 07, 2026 · 305.5 KB Download
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Download the AICPA Comment Letter on CAMT Notices 2025-46, 2025-49 and 2026-7
File name: AICPA comment letter on CAMT Notices 2025-46 2025-49 and 2026-7.pdf
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