Originally posted by dtlee
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Are you're telling me that the Internal Revenue Code in §2(b) says Bob's dad qualifies for HOH but the IRS does not want us to do that?????????????
If I'm misreading the IRC, please correct me. If I'm reading it correctly, then the clear language of the statute should govern. I still ask the question - where in the IRC does it prohibit Bob's client from HOH? The IRC is the ULTIMATE authority.
I still believe putting the child's name on line 4 is not "claiming" the child as envisioned in
IRS Notice 2006-86.
Dependent defined—rule for 2 or more CLAIMING qualifying child—interim guidance.
Headnote:
Until regs are issued, IRS provided interim guidance for situations where more than one taxpayer CLAIMS child as “qualifying child” within meaning of Code Sec. 152;
In any case, The Giants won so who cares about the IRS. In the interim you, I and BP will agree to disagree.
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