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Abstract
Issues concerning the request for an Accelerated Issue Resolution agreement by taxpayers subject to a Coordinated Examination Program audit were decided by the IRS in Rev. Proc. 94-67, Rev. Proc. 94-68, and Rev. Proc. 94-69.
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Issues concerning the request for an Accelerated Issue Resolution agreement by taxpayers subject to a Coordinated Examination Program audit were decided by the IRS in Rev. Proc. 94-67, Rev. Proc. 94-68, and Rev. Proc. 94-69.