Notice 2005-82 |
November 21, 2005 |
Rita � Government Act Notice
This notice under section 7508A postpones the deadlines for certain
acts performed by the Internal Revenue Service (IRS) with respect to certain
taxpayers affected by Hurricane Rita. In response to Hurricane Rita, the
President issued disaster declarations on September 23, 2005, covering Texas
and Louisiana. The Presidential declarations authorized, under the Robert
T. Stafford Disaster Relief and Emergency Assistance Act, 42 U.S.C. §§ 5121-5206
(Stafford Act), the Federal Emergency Management Agency (FEMA) to provide
Individual Assistance, Public Assistance, and assistance under the Hazard
Mitigation Grant Program to counties and parishes in each state. Under that
authority, FEMA determined that certain counties and parishes within those
states were eligible for both Individual Assistance and Public Assistance,
that all counties in Texas and all parishes in Louisiana were eligible for
Public Assistance, and that all counties and parishes could apply for assistance
under the Hazard Mitigation Grant Program.
By News Release IR-2005-110 of September 26, 2005, the IRS granted relief
for taxpayers affected by Hurricane Rita. News Release IR-2005-110 provided
that all counties and parishes in Texas and Louisiana constitute a ”covered
disaster area” within the meaning of § 301.7508A-1(d)(2),
of the Procedure & Administration Regulations. Further, News Release
IR-2005-110 provided that taxpayers affected by the disaster will have until
February 28, 2006, to file tax returns and submit payments. In addition,
News Release IR-2005-110 provided affected taxpayers until February 28, 2006,
to perform the acts listed in section 301.7508A-1(c)(1) and Rev. Proc. 2005-27,
2005-20 I.R.B. 1050 (May 16, 2005).
Section 7508A provides the Secretary with authority to postpone the
time for performing certain acts under the internal revenue laws for a taxpayer
affected by a Presidentially declared disaster as defined in section 1033(h)(3).
Pursuant to section 7508A(a), a period of up to one year may be disregarded
in determining whether the performance of certain acts by affected taxpayers
is timely under the internal revenue laws. Section 7508A(a)(1) includes the
acts listed in section 7508(a) as those that may be postponed. See
also § 301.7508A-1(c)(1). Section 7508(a) and § 301.7508A-1(c)(1)
include a number of acts performed by taxpayers for which section 7508A relief
may apply. These include, but are not limited to: the filing of certain
tax returns; the payment of certain taxes; the filing of a Tax Court petition;
the filing of a claim for credit or refund of tax; and the bringing of a lawsuit
upon a claim for credit or refund of tax.
Section 301.7508A-1(d)(1) describes several types of ”affected
taxpayers” eligible for certain postponements of up to one year. These
affected taxpayers include any individual whose principal residence, and any
business entity whose principal place of business, is located in the covered
disaster area; any individual who is a relief worker affiliated with a recognized
government or philanthropic organization and who is assisting in the covered
disaster area; any individual whose principal residence, and any business
entity whose principal place of business, is not located in the covered disaster
area, but whose records necessary to meet a filing or payment deadline are
maintained in the covered disaster area; any estate or trust that has tax
records necessary to meet a filing or payment deadline in the covered disaster
area; and any spouse of an affected taxpayer, solely with regard to a joint
return of the husband and wife.
Additionally, under section 301.7508A-1(d)(1)(vii), the IRS may determine
that any other person is affected by a Presidentially declared disaster and
is therefore eligible for relief. Accordingly, as stated in News Release
IR-2005-110, the IRS has determined that the following persons are also affected
by Hurricane Rita and its aftermath: (1) all workers assisting in the relief
activities in the covered disaster area, regardless of whether they are affiliated
with recognized government or philanthropic organizations; (2) any individual
whose principal residence, and any business entity whose principal place of
business, is not located in the covered disaster area, but whose tax professional/practitioner’s
office is located in the covered disaster area; and (3) individuals, visiting
the covered disaster area, who were killed or injured as a result of Hurricane
Rita and its aftermath. For purposes of (3) above, the estate of an individual
visiting the covered disaster area who was killed as a result of the hurricane
is also considered to be an affected taxpayer. See IR-2005-110.
ACTS PERFORMED BY THE GOVERNMENT
In News Release IR-2005-110, the IRS granted affected taxpayers additional
time until February 28, 2006, to file tax returns, to submit payments, and
to perform certain time-sensitive acts listed in section 301.7508A-1(c)(1)
and in Rev. Proc. 2005-27. In consideration of the additional time that affected
taxpayers have been granted to perform certain acts, this notice extends the
period for the government to take certain actions. Under the authority of
section 7508A(a)(1) and section 301.7508A-1(c)(2), for affected taxpayers
covered by News Release IR-2005-110, this notice provides a postponement until
February 28, 2006, under section 7508A for the following government acts if
the last date for performance of the act is on or after November 7, 2005,
and on or before February 28, 2006: making an assessment of any tax; issuing
a statutory notice of deficiency; allowing a credit or refund of any tax;
collecting by the Secretary, by levy or otherwise, the amount of any liability
in respect of any tax; bringing suit by the United States, or any officer
on its behalf, in respect of any tax liability; returning property under section
6343; discharging an executor from personal liability for a decedent’s
taxes under section 6905; and issuing a notice of Final Partnership Administrative
Adjustment (FPAA) to the Tax Matters Partner under section 6223 with respect
to the tax attributable to the partnership items of partners of any partnership
subject to TEFRA proceedings that is an affected taxpayer.
Documents maintained by the IRS within the covered disaster area may
have been lost or destroyed as a result of Hurricane Rita, or remain in buildings
that are inaccessible. The destruction, loss or inaccessibility of these
documents will materially interfere with the IRS’s ability to timely
administer the internal revenue laws with respect to certain taxpayers. The
taxpayers to whom these records relate are ”affected taxpayers”
for the limited purposes set forth in this paragraph. In these cases, a postponement
until February 28, 2006, is provided under section 7508A for the following
government acts if the last date for performance of the act is on or after
November 7, 2005, and on or before February 28, 2006: making an assessment
of any tax; issuing a statutory notice of deficiency; allowing a credit or
refund of any tax; collecting by the Secretary, by levy or otherwise, the
amount of any liability in respect of any tax; bringing suit by the United
States, or any office on its behalf, in respect of any tax liability; returning
property under section 6343; the discharge of an executor from personal liability
for a decedent’s taxes under section 6905, and issuing an FPAA under
section 6223 as described above. The disregarding of time under section 7508A
results in a deadline of February 28, 2006, not in a suspension of a period.
The IRS will notify as soon as practicable any affected taxpayers, as defined
under this paragraph, of the government act or acts that will be postponed.
The principal author of this notice is Dillon Taylor of the Office of
Associate Chief Counsel, Procedure and Administration (Administrative Provisions
and Judicial Practice Division). For further information regarding this notice,
you may call (202) 622-4940 (not a toll-free call).
Internal Revenue Bulletin 2005-47
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