Revenue Procedure 2005-63 |
September 6, 2005 |
Time Periods for Requesting Consent
to Change a Method of Accounting
This revenue procedure supersedes Rev. Proc. 83-77, 1983-2 C.B. 594,
and the 90-day extension of time granted therein for submitting applications
or requests for consent to change a method of accounting under � 1.77-1,
1.381(c)(4)-1(d)(2), 1.381(c)(5)-1(d)(2), 1.455-6(b), 1.456-6(b), or 1.461-1(c)(3)(ii)
of the Income Tax Regulations.
An application or request submitted in accordance with this revenue
procedure for consent to change a method of accounting under � 1.77-1,
1.455-6(b), 1.456-6(b), or 1.461-1(c)(3)(ii) may be submitted during the taxable
year in which the taxpayer desires to make the change in method of accounting.
An application or request submitted in accordance with this revenue procedure
for consent to change a method of accounting under � 1.381(c)(4)-1(d)(2)
or 1.381(c)(5)-1(d)(2) may be submitted by the later of 1) the last day of
the taxable year in which the distribution or transfer occurred, or 2) the
earlier of a) the day that is 180 days after the date of distribution or transfer,
or b) the day on which the taxpayer files its federal income tax return for
the taxable year in which the distribution or transfer occurred.
.01 Section 1.446-1(e) provides the general rules for filing an application
to obtain the Commissioner�s consent to change a method of accounting
for federal income tax purposes. Under � 1.446-1(e)(3)(i), as amended
by T.D. 8719, 1997-1 C.B. 100, an application must be filed during the taxable
year in which the taxpayer desires to make the change in method of accounting.
Prior to the amendment, � 1.446-1(e)(3)(i) provided that an application
must be filed within 180 days after the beginning of the tax year in which
the proposed change is requested to be made.
.02 Notwithstanding the provisions of � 1.446-1(e)(3)(i),
� 1.446-1(e)(3)(ii) authorizes the Commissioner to prescribe administrative
procedures setting forth the terms and conditions under which taxpayers will
be permitted to change their method of accounting.
.03 The following regulations concerning a change in method of accounting
each contain a requirement that an application or request for consent must
be filed within a 90-day period:
-
Section 1.77-1 provides that a taxpayer who previously elected to include
the amount of loans from the Commodity Credit Corporation in gross income
for the taxable year in which the loans are received must obtain permission
to change to a different method of accounting for the loans. An application
for permission to change to a different method of accounting must be submitted
within 90 days after the beginning of the taxable year in which the taxpayer
proposes to make the change.
-
Section 1.381(c)(4)-1(d)(2) provides that, under � 1.381(c)(4)-1(d)(1),
an acquiring corporation may submit an application for permission to use a
method of accounting, or a request for a determination of the method of accounting
to be used, not later than 90 days after the date of distribution or transfer.
-
Section 1.381(c)(5)-1(d)(2) provides that, under � 1.381(c)(5)-1(d)(1),
an acquiring corporation may submit an application for permission to use a
method of taking inventories, or a request for a determination of the method
of taking inventories to be used, not later than 90 days after the date of
distribution or transfer.
-
Section 1.455-6(b) provides that, with the consent of the Commissioner,
a taxpayer may elect to apply the provisions of � 455 to any trade
or business in which the taxpayer receives prepaid subscription income. The
taxpayer must submit a written request for consent to make the election within
90 days after the beginning of the taxable year in which the election is first
applicable.
-
Section 1.456-6(b) provides that, with the consent of the Commissioner,
a taxpayer may elect to apply the provisions of � 456 to any trade
or business in which the taxpayer receives prepaid dues income. The taxpayer
must submit a written request for consent to make the election within 90 days
after the beginning of the taxable year in which the election is first applicable.
-
Section 1.461-1(c)(3)(ii) provides that, with the consent of the Commissioner,
a taxpayer may elect to accrue real property taxes ratably in accordance with
�� 461(c) and 1.461-1(c). The taxpayer must submit a written
request for consent to make the election within 90 days after the beginning
of the taxable year in which the election is first applicable.
.04. In Rev. Proc. 83-77, the Commissioner exercised discretionary
authority under former � 1.9100-1(a) to grant automatic extensions
of 90 days to the 90-day periods for submitting applications or requests for
consent to change methods of accounting under �� 1.77-1, 1.381(c)(4)-1(d)(2),
1.381(c)(5)-1(d)(2), 1.455-6(b), 1.456-6(b), and 1.461-1(c)(3)(ii). Taxpayers
that complied with the provisions of Rev. Proc. 83-77 obtained automatic extensions
of 90 days and therefore had 180 days in which to submit their applications
or requests for consent, as did taxpayers filing applications or requests
for consent under the general rule of � 1.446-1(e)(3)(i) prior to
the amendment described in section 2.01 of this revenue procedure.
.05. The changes in method of accounting described in �� 1.77-1
and 1.455-6(b) are included in the changes to which the automatic change in
method procedures of Rev. Proc. 2002-9, 2002-1 C.B. 327 (as modified and clarified
by Announcement 2002-17, 2002-1 C.B. 561, modified and amplified by Rev. Proc.
2002-19, 2002-1 C.B. 696, and amplified, clarified, and modified by Rev. Proc.
2002-54, 2002-2 C.B. 432), apply for taxpayers that are within the scope of
Rev. Proc. 2002-9 for the requested year of change. Taxpayers within the
scope of Rev. Proc. 2002-9 for the requested year of change that desire to
make the changes in method described in �� 1.77-1 and 1.455-6(b)
must follow the procedures in Rev. Proc. 2002-9 instead of the procedures
in the regulations and this revenue procedure.
The scope of this revenue procedure is limited to waiving the 90-day
periods for submitting applications or requests for consent under �� 1.77-1,
1.381(c)(4)-1(d)(2), 1.381(c)(5)-1(d)(2), 1.455-6(b), 1.456-6(b), and 1.461-1(c)(3)(ii).
.01 Under � 1.446-1(e)(3)(ii), the Commissioner has authority
to prescribe the terms and conditions under which taxpayers will be permitted
to change their method of accounting. After consideration of the general
rules for requesting consent to change a method of accounting under � 1.446-1(e)(3)(i),
the requirement to submit applications or requests for consent within the
time periods prescribed in the regulations cited in section 3 of this revenue
procedure is waived for taxpayers who submit applications or requests for
consent in accordance with section 4.02 of this revenue procedure.
.02 Time and manner of application.
-
An application or request for consent under � 1.77-1, 1.455-6(b),
1.456-6(b), or 1.461-1(c)(3)(ii) that is submitted in accordance with section
4.02(3) of this revenue procedure may be submitted during the taxable year
in which the taxpayer desires to make the change in method of accounting.
-
An application or request under � 1.381(c)(4)-1(d)(2) or 1.381(c)(5)-1(d)(2)
that is submitted in accordance with section 4.02(3) of this revenue procedure
may be submitted by the later of 1) the last day of the taxable year in which
the distribution or transfer occurred, or 2) the earlier of a) the day that
is 180 days after the date of distribution or transfer, or b) the day on which
the taxpayer files its federal income tax return for the taxable year in which
the distribution or transfer occurred.
-
The applications or written requests to which this revenue procedure
applies are to be filed in accordance with the requirements set forth in � 1.77-1,
1.381(c)(4)-1(d)(2), 1.381(c)(5)-1(d)(2), 1.455-6(b), 1.456-6(b), or 1.461-1(c)(3)(ii),
as applicable, except that the taxpayer may file within the time periods provided
in section 4.02(1) and (2) of this revenue procedure and send the application
or written request to the Internal Revenue Service, Attention: CC:PA:LPD:DRU,
P.O. Box 7604, Benjamin Franklin Station, Washington, D.C. 20044. At the
top of the application or written request, the taxpayer should either type
or legibly print �Filed Under Rev. Proc. 2005-63.�
SECTION 5. EFFECT ON OTHER DOCUMENTS
Rev. Proc. 83-77 is superseded.
SECTION 6. EFFECTIVE DATE
This revenue procedure is effective August 16, 2005.
SECTION 7. DRAFTING INFORMATION
The principal author of this revenue procedure is Sean M. Dwyer of the
Office of Associate Chief Counsel (Income Tax & Accounting). For further
information regarding this revenue procedure, contact Mr. Dwyer at (202) 622-5020
(not a toll-free call).
Internal Revenue Bulletin 2005-36
SEARCH:
You can either: Search all IRS Bulletin Documents issued since January 1996, or Search the entire site. For a more focused search, put your search word(s) in quotes.
2005 Document Types | 2005 Weekly IRBs
IRS Bulletins Main | Home
|