99-32823. Relief for Service in Combat Zone and for Presidentially Declared Disaster  

  • [Federal Register Volume 64, Number 250 (Thursday, December 30, 1999)]
    [Proposed Rules]
    [Pages 73444-73448]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 99-32823]
    
    
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    DEPARTMENT OF THE TREASURY
    
    Internal Revenue Service
    
    26 CFR Part 301
    
    [REG-101492-98]
    RIN 1545-AV92
    
    
    Relief for Service in Combat Zone and for Presidentially Declared 
    Disaster
    
    AGENCY: Internal Revenue Service (IRS), Treasury.
    
    ACTION: Notice of proposed rulemaking.
    
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    SUMMARY: This document contains proposed regulations relating to the 
    postponement of certain tax-related deadlines due either to service in 
    a combat zone or a Presidentially declared disaster. The proposed 
    regulations reflect changes to the law made by the Taxpayer Relief Act 
    of 1997. The proposed regulations affect taxpayers serving in a combat 
    zone and taxpayers affected by a Presidentially declared disaster.
    
    DATES: Written or electronically generated comments and requests for a 
    public hearing must be received by March 30, 2000.
    
    ADDRESSES: Send submissions to: CC:DOM:CORP:R (REG-101492-98), room 
    5228, Internal Revenue Service, POB 7604, Ben Franklin Station, 
    Washington, DC 20044. Submissions may be hand delivered between the 
    hours of 8 a.m. and 5 p.m. to: CC:DOM:CORP:R (REG-101492-98), Courier's 
    Desk, Internal Revenue Service, 1111 Constitution Avenue NW, 
    Washington, DC. Alternatively, taxpayers may submit comments 
    electronically via the Internet by selecting the ``Tax Regs'' option on 
    the IRS Home Page, or by submitting
    
    [[Page 73445]]
    
    comments directly to the IRS Internet site at http://www.irs.gov/
    tax__regs/regslist.html.
    
    FOR FURTHER INFORMATION CONTACT: Concerning the regulations, Beverly A. 
    Baughman, (202) 622-4940; concerning the hearing and submissions of 
    written comments, Guy Traynor (202) 622-7180 (not toll-free numbers).
    
    SUPPLEMENTARY INFORMATION:
    
    Background
    
        This document contains proposed amendments to the Regulations on 
    Procedure and Administration (26 CFR part 301) under section 7508 of 
    the Internal Revenue Code (Code), relating to postponement of certain 
    acts by reason of service in a combat zone, and section 7508A, relating 
    to postponement of certain tax-related deadlines by reason of a 
    Presidentially declared disaster. Section 7508A was added to the Code 
    by section 911 of the Taxpayer Relief Act of 1997, Pub. L. 105-34 (111 
    Stat. 788 (1997)), effective for any period for performing an act that 
    had not expired before August 5, 1997.
        In general, section 7508 provides that the time individuals serve 
    in a ``combat zone'' plus 180 days will be disregarded in determining 
    whether acts listed in section 7508(a)(1), such as filing returns, 
    paying taxes, filing certain petitions with the Tax Court, filing a 
    claim for credit or refund, bringing suit, and assessing tax, are 
    performed within the time prescribed. Under section 7508(a)(1)(K), the 
    Secretary has the authority to provide by regulation other acts to 
    which section 7508 will apply.
        Section 7508A provides that, in the case of a taxpayer determined 
    by the Secretary to be affected by a Presidentially declared disaster, 
    the Secretary may postpone certain tax-related deadlines for up to 90 
    days. The deadlines that may be postponed are determined by cross-
    reference to section 7508(a)(1). Pursuant to section 7508A(b), the 
    provision does not apply for purposes of determining interest on any 
    overpayment or underpayment (if the underpayment arose prior to the 
    disaster). See also H.R. Rep. No. 148, 105th Cong., 1st Sess. 397 
    (1997).
    
    Explanation of Provisions
    
        Under section 7508, the proposed regulations provide that, in 
    addition to the acts described in section 7508(a)(1), the IRS may 
    postpone other acts specified in revenue rulings, revenue procedures, 
    notices, or other guidance published in the Internal Revenue Bulletin.
        Under section 7508A, the proposed regulations provide that, for any 
    tax, penalty, additional amount, or addition to the tax of an affected 
    taxpayer in a Presidentially declared disaster area, the IRS may 
    disregard up to 90 days in determining whether certain tax-related 
    deadlines described in section 7508(a)(1) were satisfied and the amount 
    of any credit or refund. The proposed regulations apply to taxpayer 
    deadlines, such as the time for filing returns and paying taxes 
    relating to most income taxes (including domestic service employment 
    taxes), estate taxes, and gift taxes; filing certain court documents, 
    including petitions filed in United States Tax Court for 
    redetermination of a deficiency; and filing claims for refund. In 
    addition, under the authority in section 7508(a)(1)(K), the proposed 
    regulations provide that for purposes of section 7508A, the IRS may 
    disregard up to 90 days in determining whether the deadlines for filing 
    returns and paying taxes relating to certain excise taxes and 
    employment taxes have been met. Although the proposed regulations do 
    not apply to deadlines for depositing federal taxes pursuant to section 
    6302 and the underlying regulations, it is anticipated that the failure 
    to deposit penalty under section 6656 will be waived in appropriate 
    circumstances, and thus section 7508A relief will not be necessary.
        The proposed regulations also provide for the postponement of 
    certain government deadlines, such as the time for making assessments, 
    taking collection action, and bringing suit. However, the IRS and 
    Treasury Department anticipate that the authority to postpone 
    government deadlines will only be used in limited circumstances when it 
    is determined that such a postponement is necessary and appropriate.
        The proposed regulations provide that an affected taxpayer is (1) 
    any individual whose principal residence is located in a covered 
    disaster area; (2) any business whose principal place of business is 
    located in a covered disaster area; (3) any individual who is a relief 
    worker affiliated with a recognized government or philanthropic 
    organization and who is assisting in a covered disaster area; (4) any 
    individual whose principal residence or any business whose principal 
    place of business is located outside the disaster area, but whose tax 
    records necessary to meet certain tax-related deadlines are maintained 
    in a location, such as a practitioner's office, in a covered disaster 
    area; (5) any estate or trust whose tax records necessary to meet 
    certain tax-related deadlines are maintained in a location, such as a 
    practitioner's office, in a covered disaster area; (6) any individual 
    who files a joint return with an affected taxpayer; or (7) any other 
    person who is determined by the IRS to be affected by a Presidentially 
    declared disaster. A covered disaster area means the location of a 
    Presidentially declared disaster to which the IRS determines section 
    7508A applies.
        It is anticipated that the IRS's authority to grant extensions of 
    time to file tax returns under section 6081 and to pay tax with respect 
    to such returns under section 6161 will provide taxpayers with the 
    necessary relief in the case of many Presidentially declared disasters. 
    However, if the IRS determines that section 7508A applies, it will 
    publish guidance to inform taxpayers of the counties included in the 
    covered disaster area, the taxpayer and government deadlines to which 
    section 7508A applies, and the period to be disregarded (up to 90 
    days). Guidance will be published as soon as practicable after the 
    declaration of a Presidentially declared disaster.
        Section 6404(h) provides that in the case of a Presidentially 
    declared disaster, if there is an extension of time to file income tax 
    returns under section 6081 and an extension of time to pay income tax 
    with respect to such returns under section 6161, interest will be 
    abated during the extension period. The proposed regulations clarify 
    that if, in addition to an extension under sections 6081 and 6161, 
    there is a postponement of tax-related deadlines under section 7508A, 
    interest will be abated under section 6404(h) for the period of time 
    disregarded under section 7508A in addition to the period of time 
    covered by the extensions of time to file and pay. The abatement of 
    interest only applies in the case of underpayments of income tax that 
    arise during the extension period.
    
    Special Analyses
    
        It has been determined that this notice of proposed rulemaking is 
    not a significant regulatory action as defined in Executive Order 
    12866. Therefore, a regulatory assessment is not required. It also has 
    been determined that section 553(b) of the Administrative Procedure Act 
    (5 U.S.C. chapter 5) does not apply to these regulations, and because 
    these regulations do not impose a collection of information on small 
    entities, the Regulatory Flexibility Act (5 U.S.C. chapter 6) does not 
    apply. Pursuant to section 7805(f) of the Code, this notice of proposed 
    rulemaking will be submitted to the Chief Counsel for Advocacy of the 
    Small Business
    
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    Administration for comment on its impact on small business.
    
    Comments and Requests for a Public Hearing
    
        Before these proposed regulations are adopted as final regulations, 
    consideration will be given to any electronic or written comments (a 
    signed original and 8 copies) that are submitted timely to the IRS. The 
    IRS and Treasury Department specifically request comments on the 
    clarity of the proposed regulations and how they can be made easier to 
    understand. All comments will be available for public inspection and 
    copying. A public hearing may be scheduled if requested by any person 
    who timely submits comments. If a public hearing is scheduled, notice 
    of the date, time, and place for the hearing will be published in the 
    Federal Register.
    
    Drafting Information
    
        The principal author of these regulations is Beverly A. Baughman, 
    Office of Assistant Chief Counsel (Income Tax & Accounting). However, 
    other personnel from the IRS and Treasury Department participated in 
    their development.
    
    List of Subjects in 26 CFR Part 301
    
        Employment taxes, Estate taxes, Excise taxes, Gift taxes, Income 
    taxes, Penalties, Reporting and recordkeeping requirements.
    
    Proposed Amendments to the Regulations
    
        Accordingly, 26 CFR part 301 is proposed to be amended as follows:
    
    PART 301--PROCEDURE AND ADMINISTRATION
    
        Paragraph 1. The authority citation for part 301 is amended by 
    adding entries in numerical order to read in part as follows:
    
        Authority: 26 U.S.C. 7805 * * *.
    
        Section 301.7508-1 also issued under 26 U.S.C. 7508(a)(1)(K).
        Section 301.7508A-1 also issued under 26 U.S.C. 7508(a)(1)(K) and 
    7508A(a). * * *
        Par. 2. Section 301.7508-1 is added to read as follows:
    
    
    Sec. 301.7508-1  Time for performing certain acts postponed by reason 
    of service in a combat zone.
    
        (a) General rule. The period of time that may be disregarded for 
    performing certain acts pursuant to section 7508 applies to acts 
    described in section 7508(a)(1) and to other acts specified in a 
    revenue ruling, revenue procedure, notice, or other guidance published 
    in the Internal Revenue Bulletin (see Sec. 601.601(d)(2) of this 
    chapter).
        (b) Effective date. This section applies to any period for 
    performing an act that has not expired before December 30, 1999.
        Par. 3. Section 301.7508A-1 is added to read as follows:
    
    
    Sec. 301.7508A-1  Postponement of certain tax-related deadlines by 
    reason of Presidentially declared disaster.
    
        (a) Scope. This section prescribes rules by which the Internal 
    Revenue Service (IRS) may postpone deadlines for performing certain 
    acts with respect to taxes other than taxes not administered by the IRS 
    such as taxes imposed for firearms (chapter 32, section 4181); harbor 
    maintenance (chapter 36, section 4461); and alcohol and tobacco 
    (subtitle E).
        (b) Postponed deadlines. For any tax, penalty, additional amount, 
    or addition to the tax of an affected taxpayer (defined in paragraph 
    (d)(1) of this section), the IRS may disregard a period of up to 90 
    days in determining, under the internal revenue laws--
        (1) Whether any or all of the acts described in paragraph (c) of 
    this section were performed within the time prescribed; and
        (2) The amount of any credit or refund.
        (c) Acts for which a period may be disregarded--(1) Acts performed 
    by taxpayers. Paragraph (b) of this section applies to the following 
    acts performed by taxpayers--
        (i) Filing any return of income, estate, gift, excise (other than 
    taxes imposed for firearms (chapter 32, section 4181); harbor 
    maintenance (chapter 36, section 4461); and alcohol and tobacco 
    (subtitle E)) or employment tax (including income tax withheld at 
    source and income tax imposed by subtitle C or any law superseded 
    thereby);
        (ii) Payment of any income, estate, gift, excise (other than taxes 
    imposed for firearms (chapter 32, section 4181); harbor maintenance 
    (chapter 36, section 4461); and alcohol and tobacco (subtitle E)) or 
    employment tax (including income tax withheld at source and income tax 
    imposed by subtitle C or any law superseded thereby) or any installment 
    thereof (including payment under section 6159 relating to installment 
    agreements) or of any other liability to the United States in respect 
    thereof, but not including deposits of taxes pursuant to section 6302 
    and the regulations thereunder;
        (iii) Filing a petition with the Tax Court for redetermination of a 
    deficiency, or for review of a decision rendered by the Tax Court;
        (iv) Allowance of a credit or refund of any tax;
        (v) Filing a claim for credit or refund of any tax;
        (vi) Bringing suit upon a claim for credit or refund of any tax; 
    and
        (vii) Any other act specified in a revenue ruling, revenue 
    procedure, notice, or other guidance published in the Internal Revenue 
    Bulletin (see Sec. 601.601(d)(2) of this chapter).
        (2) Acts performed by the government. Paragraph (b) of this section 
    applies to the following acts performed by the government--
        (i) Assessment of any tax;
        (ii) Giving or making any notice or demand for the payment of any 
    tax, or with respect to any liability to the United States in respect 
    of any tax;
        (iii) Collection by the Secretary, by levy or otherwise, of the 
    amount of any liability in respect of any tax;
        (iv) Bringing suit by the United States, or any officer on its 
    behalf, in respect of any liability in respect of any tax; and
        (v) Any other act specified in a revenue ruling, revenue procedure, 
    notice, or other guidance published in the Internal Revenue Bulletin 
    (see Sec. 601.601(d)(2) of this chapter).
        (d) Definitions--(1) Affected taxpayer means--
        (i) Any individual whose principal residence (for purposes of 
    section 1033(h)(4)) is located in a covered disaster area;
        (ii) Any business whose principal place of business is located in a 
    covered disaster area;
        (iii) Any individual who is a relief worker affiliated with a 
    recognized government or philanthropic organization and who is 
    assisting in a covered disaster area;
        (iv) Any individual whose principal residence (for purposes of 
    section 1033(h)(4)) or any business whose principal place of business 
    is not located in a covered disaster area, but whose records necessary 
    to meet a deadline for an act specified in paragraph (c) of this 
    section are maintained in a location, such as a practitioner's office, 
    in a covered disaster area;
        (v) Any estate or trust whose tax records necessary to meet a 
    deadline for an act specified in paragraph (c) of this section are 
    maintained in a location, such as a practitioner's office, in a covered 
    disaster area;
        (vi) The spouse of an affected taxpayer, solely with regard to a 
    joint return of the husband and wife; or
        (vii) Any other person determined by the IRS to be affected by a 
    Presidentially
    
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    declared disaster (within the meaning of section 1033(h)(3)).
        (2) Covered disaster area means an area of a Presidentially 
    declared disaster (within the meaning of section 1033(h)(3)) to which 
    the IRS has determined paragraph (b) of this section applies.
        (e) Notice of postponement of certain acts. If any tax-related 
    deadline is postponed pursuant to section 7508A and this section, the 
    IRS will publish a revenue ruling, revenue procedure, notice, 
    announcement, news release, or other guidance (see Sec. 601.601(d)(2) 
    of this chapter) describing the acts postponed, the number of days 
    disregarded with respect to each act, the time period to which the 
    postponement applies, and the location of the covered disaster area. 
    Guidance under this paragraph (e) will be published as soon as 
    practicable after the declaration of a Presidentially declared 
    disaster.
        (f) Abatement of interest under section 6404(h). In the case of a 
    Presidentially declared disaster, if there is an extension of time to 
    file income tax returns under section 6081 and an extension of time to 
    pay income tax with respect to such return under section 6161, and, in 
    addition, a postponement of tax-related deadlines under section 7508A, 
    interest on an underpayment of income tax that arises during such 
    period will be abated under section 6404(h) for the period of time 
    disregarded under section 7508A in addition to the period of time 
    covered by the extension of time to file and the extension of time to 
    pay.
        (g) Examples. The rules of this section are illustrated by the 
    following examples:
    
        Example 1. (i) Corporation M, a calendar year taxpayer, has its 
    principal place of business in County A in State X. Pursuant to a 
    timely filed request for extension of time to file, Corporation M's 
    1999 Form 1120, ``U.S. Corporation Income Tax Return,'' is due on 
    September 15, 2000. Also due on September 15, 2000, is Corporation 
    M's third quarter estimated tax payment for 2000. Corporation M's 
    2000 third quarter Form 720, ``Quarterly Federal Excise Tax 
    Return,'' and third quarter Form 941, ``Employer's Quarterly Federal 
    Tax Return,'' are due on October 31, 2000. In addition, Corporation 
    M has an employment tax deposit due on September 15, 2000.
        (ii) On September 1, 2000, a hurricane strikes County A. On 
    September 6, 2000, the President declares that County A is a 
    disaster area within the meaning of section 1033(h)(3). The IRS 
    determines that County A in State X is a covered disaster area and 
    publishes guidance informing taxpayers that for acts described in 
    paragraph (c) of this section that are required to be performed 
    within the period beginning on September 1, 2000, and ending on 
    November 6, 2000, 90 days will be disregarded in determining whether 
    the acts are performed timely.
        (iii) Because Corporation M's principal place of business is in 
    County A, Corporation M is an affected taxpayer. Accordingly, 
    Corporation M's 1999 Form 1120 will be filed timely if filed on or 
    before December 14, 2000. Corporation M's 2000 third quarter 
    estimated tax payment will be made timely if paid on or before 
    December 14, 2000. In addition, because excise and employment tax 
    returns are described in paragraph (c) of this section, Corporation 
    M's 2000 third quarter Form 720 and third quarter Form 941 will be 
    filed timely if filed on or before January 29, 2001. However, 
    because deposits of taxes are excluded from the scope of paragraph 
    (c) of this section, Corporation M's employment tax deposit is due 
    on September 15, 2000.
        Example 2. The facts are the same as in Example 1, except that 
    during 2000, Corporation M's 1996 Form 1120 is being examined by the 
    IRS. Pursuant to a timely filed request for extension of time to 
    file, Corporation M timely filed its 1996 Form 1120 on September 15, 
    1997. Without application of this section, the statute of 
    limitations on assessment for 1996 income tax will expire on 
    September 15, 2000. However, pursuant to paragraph (c) of this 
    section, assessment of tax is one of the government acts for which 
    up to 90 days may be disregarded. The IRS determines that an 
    extension of the statute of limitations is necessary and appropriate 
    under these circumstances. Because the September 15, 2000, 
    expiration date of the statute of limitations on assessment falls 
    within the period of the disaster as described in the IRS's 
    published guidance, the 90 day period disregarded under paragraph 
    (b) of this section begins on September 16, 2000, and ends on 
    December 14, 2000. Accordingly, the statute of limitations on 
    assessment for Corporation M's 1996 income tax will expire on 
    December 14, 2000.
        Example 3. The facts are the same as in Example 2, except that 
    the examination of the 1996 taxable year was completed earlier in 
    2000, and on July 28, 2000, the IRS mailed a statutory notice of 
    deficiency to Corporation M. Without application of this section, 
    Corporation M has 90 days (or until October 26, 2000) to file a 
    petition with the Tax Court. However, pursuant to paragraph (c) of 
    this section, filing a petition with the Tax Court is one of the 
    taxpayer acts for which up to 90 days may be disregarded. Because 
    Corporation M is an affected taxpayer, Corporation M's petition to 
    the Tax Court will be filed timely if filed on or before January 24, 
    2001.
        Example 4. (i) H and W, individual calendar year taxpayers, 
    intend to file a joint Form 1040, ``U.S. Individual Income Tax 
    Return,'' for the 2001 taxable year and are required to file a 
    Schedule H, ``Household Employment Taxes.'' The joint return is due 
    on April 15, 2002. H and W fully and timely paid all taxes for the 
    2001 taxable year, including domestic service employment taxes, 
    through withholding and estimated tax payments. H and W's principal 
    residence is in County B in State Y.
        (ii) On April 2, 2002, a severe ice storm strikes County B. On 
    April 5, 2002, the President declares that County B is a disaster 
    area within the meaning of section 1033(h)(3). The IRS determines 
    that County B in State Y is a covered disaster area and publishes 
    guidance informing taxpayers that for acts described in paragraph 
    (c) of this section that are required to be performed within the 
    period beginning on April 2, 2002, and ending on April 19, 2002, 90 
    days will be disregarded in determining whether the acts are 
    performed timely.
        (iii) Because H and W's principal residence is in County B, H 
    and W are affected taxpayers. Because April 15, 2002, the due date 
    of H and W's 2001 Form 1040 and Schedule H, falls within the period 
    of the disaster as described in the IRS's published guidance, the 90 
    day period disregarded under paragraph (b) of this section begins on 
    April 16, 2002, and ends on July 14, 2002, a Sunday. Pursuant to 
    section 7503, if the last day for performing an act falls on 
    Saturday, Sunday, or a legal holiday, the performance of the act 
    shall be considered timely if it is performed on the next succeeding 
    day that is not a Saturday, Sunday, or legal holiday. Accordingly, H 
    and W's 2001 Form 1040 will be filed timely if filed on or before 
    July 15, 2002. In addition, the Schedule H will be filed timely if 
    filed on or before July 15, 2002.
        Example 5. The facts are the same as in Example 4, except H and 
    W want to file an amended return to request a refund of 1998 taxes. 
    H and W timely filed their 1998 income tax return on April 15, 1999. 
    Without application of this section, H and W's amended 1998 tax 
    return must be filed on or before April 15, 2002. However, pursuant 
    to paragraph (c) of this section, filing a claim for refund of a tax 
    is one of the taxpayer acts for which up to 90 days may be 
    disregarded. Ninety days are disregarded under paragraph (b) of this 
    section beginning on April 16, 2002, and ending on July 14, 2002. 
    Accordingly, H and W's claim for refund for 1998 taxes will be filed 
    timely if filed, as in Example 4, on or before July 15, 2002.
        Example 6. (i) L is an unmarried, calendar year taxpayer whose 
    principal residence is located in County R in State T. L does not 
    timely file a 2001 Form 1040, ``U.S. Individual Income Tax Return,'' 
    which is due on April 15, 2002, and does not timely pay tax owed on 
    that return. Absent reasonable cause, L is subject to the failure to 
    file and failure to pay penalties under section 6651 beginning on 
    April 16, 2002.
        (ii) On May 10, 2002, a tornado strikes County R. On May 14, 
    2002, the President declares that County R is a disaster area within 
    the meaning of section 1033(h)(3). The IRS determines that County R 
    in State T is a covered disaster area and publishes guidance 
    informing taxpayers that for acts described in paragraph (c) of this 
    section that are required to be performed within the period 
    beginning on May 10, 2002, and ending on June 27, 2002, 90 days will 
    be disregarded in determining whether the acts are timely.
        (iii) On May 31, 2002, L files a 2001 Form 1040, ``U.S. 
    Individual Income Tax Return,'' and pays the tax owed for 2001.
        (iv) Because L's principal residence is in County R, L is an 
    affected taxpayer. For purposes of penalties under section 6651, 90
    
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    days are disregarded under paragraph (b) of this section beginning 
    on May 10, 2002. Because L files the return on May 31, 2002, the 
    penalties under section 6651 will run from April 16, 2002, until May 
    10, 2002. However, because the underpayment arose prior to the 
    extension period, L will be liable for underpayment interest for the 
    entire period of April 16, 2002, through May 31, 2002.
        Example 7. The facts are the same as in Example 6, except L does 
    not file the 2001 Form 1040 until November 25, 2002. Ninety days are 
    disregarded under paragraph (b) of this section beginning on May 10, 
    2002, and ending on August 8, 2002. Therefore, the section 6651 
    penalties will run from April 16, 2002, until May 10, 2002, and from 
    August 9, 2002, until November 25, 2002. However, because the 
    underpayment arose prior to the extension period, L will be liable 
    for underpayment interest for the entire period of April 16, 2002, 
    through November 25, 2002.
        Example 8. (i) H and W, individual calendar year taxpayers, 
    intend to file a joint Form 1040, ``U.S. Individual Income Tax 
    Return,'' for the 2001 taxable year. The joint return is due on 
    April 15, 2002. After credits for withholding under section 31 and 
    estimated tax payments, H and W owe tax for the 2001 taxable year. H 
    and W's principal residence is in County C in State Z.
        (ii) On March 1, 2002, severe flooding strikes County C. On 
    March 5, 2002, the President declares that County C is a disaster 
    area within the meaning of section 1033(h)(3). The IRS determines 
    that County C in State Z is a covered disaster area and publishes 
    guidance informing taxpayers that for acts described in paragraph 
    (c) of this section that are required to be performed within the 
    period beginning on March 1, 2002, and ending on April 25, 2002, 90 
    days will be disregarded in determining whether the acts are 
    performed timely. The guidance also grants affected taxpayers an 
    additional 6 month extension of time to file returns under section 
    6081 and an additional 6 month extension of time to pay under 
    section 6161.
        (iii) Because H and W's principal residence is in County C, H 
    and W are affected taxpayers. Pursuant to the published guidance, H 
    and W have until January 13, 2003, to file their return and pay the 
    tax. This date is computed as follows: Under sections 6081 and 6161, 
    H and W will have an additional 6 months, until October 15, 2002, to 
    file and pay the tax. Further, under paragraph (f) of this section, 
    90 days are disregarded in determining the period of the extension. 
    Therefore, H and W's return and payment of tax will be timely if 
    filed and paid on or before January 13, 2003. In addition, under 
    section 6404(h), underpayment interest under section 6601 is abated 
    for the entire period, from April 16, 2002, until January 13, 2003.
    
        (h) Effective date. This section applies to disasters declared 
    after December 30, 1999.
    Robert E. Wenzel,
    Deputy Commissioner of Internal Revenue.
    [FR Doc. 99-32823 Filed 12-29-99; 8:45 am]
    BILLING CODE 4830-01-P
    
    
    

Document Information

Published:
12/30/1999
Department:
Internal Revenue Service
Entry Type:
Proposed Rule
Action:
Notice of proposed rulemaking.
Document Number:
99-32823
Dates:
Written or electronically generated comments and requests for a public hearing must be received by March 30, 2000.
Pages:
73444-73448 (5 pages)
Docket Numbers:
REG-101492-98
RINs:
1545-AV92: Relief for Presidentially Declared Disaster
RIN Links:
https://www.federalregister.gov/regulations/1545-AV92/relief-for-presidentially-declared-disaster
PDF File:
99-32823.pdf
CFR: (2)
26 CFR 301.7508-1
26 CFR 301.7508A-1