Treasury Regulations (26 C.F.R.)
26 CFR § 1.1248(f)-3
Reasonable cause and effective/applicability dates.
# (a)
Reasonable cause for failure to comply—(1) Request for relief. If an 80-percent distributee, a distributee that is a section 1248 shareholder, or the domestic distributing corporation (reporting person) fails to timely comply with any requirement under § 1.1248(f)-2, the failure shall be deemed not to have occurred if the reporting person is able to demonstrate that the failure was due to reasonable cause and not willful neglect using the procedure set forth in paragraph (a)(2) of this section. Whether the failure to timely comply was due to reasonable cause and not willful neglect will be determined by the Director of Field Operations, Cross Border Activities Practice Area of Large Business & International (Director) based on all the facts and circumstances.
(2) Procedures for establishing that a failure to timely comply was due to reasonable cause and not willful neglect—(i) Time of submission. A reporting person's statement that the failure to timely comply was due to reasonable cause and not willful neglect will be considered only if, promptly after the reporting person becomes aware of the failure, an amended return is filed for the taxable year to which the failure relates that includes the information that should have been included with the original return for such taxable year or that otherwise complies with the rules of this section, and that includes a written statement explaining the reasons for the failure to timely comply.
(ii) Notice requirement. In addition to the requirements of paragraph (a)(2)(i) of this section, the reporting person must comply with the notice requirements of this paragraph (a)(2)(ii). If any taxable year of the reporting person is under examination when the amended return is filed, a copy of the amended return and any information required to be included with such return must be delivered to the Internal Revenue Service personnel conducting the examination. If no taxable year of the reporting person is under examination when the amended return is filed, a copy of the amended return and any information required to be included with such return must be delivered to the Director.
# (b)
Effective/applicability date—(1) General rule. Except as provided in paragraph (b)(2)(ii) of this section, §§ 1.1248(f)-1 and 1.1248(f)-2 apply to distributions occurring on or after April 18, 2013. The provisions of § 1.1248(f)-3(a) apply to distributions occurring on or after April 17, 2013.
(2) Transactions described in Notice 87-64—(i) Gain not otherwise recognized. For distributions occurring on or after September 21, 1987, and before April 18, 2013, section 1248(f)(1) shall not apply to the extent the domestic distributing corporation recognizes gain with respect to the stock of the foreign distributed corporation as a result of the distribution under another provision of subtitle A of the Internal Revenue Code.
(ii) Section 355 distributions. Taxpayers may apply the provisions of § 1.1248(f)-2(b) to distributions occurring on or after September 21, 1987.
[T.D. 9614, 78 FR 17050, Mar. 19, 2013, as amended by T.D. 9760, 81 FR 15169, Mar. 22, 2016]
Source: view the official text
In this part (40 sections)
- 1.1244(d)-2 · Increases in basis of section 1244 stock.
- 1.1244(d)-3 · Stock dividend, recapitalizations, changes in name, etc.
- 1.1244(d)-4 · Net operating loss deduction.
- 1.1244(e)-1 · Records to be kept.
- 1.1245-1 · General rule for treatment of gain from dispositions of…
- 1.1245-2 · Definition of recomputed basis.
- 1.1245-3 · Definition of section 1245 property.
- 1.1245-4 · Exceptions and limitations.
- 1.1245-5 · Adjustments to basis.
- 1.1245-6 · Relation of section 1245 to other sections.
- 1.1248-1 · Treatment of gain from certain sales or exchanges of stock…
- 1.1248-2 · Earnings and profits attributable to a block of stock in…
- 1.1248-3 · Earnings and profits attributable to stock in complex cases.
- 1.1248-4 · Limitation on tax applicable to individuals.
- 1.1248-5 · Stock ownership requirements for less developed country…
- 1.1248-6 · Sale or exchange of stock in certain domestic corporations.
- 1.1248-7 · Taxpayer to establish earnings and profits and foreign taxes.
- 1.1248-8 · Earnings and profits attributable to stock following certain…
- 1.1248(f)-1 · Certain nonrecognition distributions.
- 1.1248(f)-2 · Exceptions for certain distributions and attribution…
- 1.1248(f)-3 · Reasonable cause and effective/applicability dates.
- 1.1249-1 · Gain from certain sales or exchanges of patents, etc., to…
- 1.1250-1 · Gain from dispositions of certain depreciable realty.
- 1.1250-2 · Additional depreciation defined.
- 1.1250-3 · Exceptions and limitations.
- 1.1250-4 · Holding period.
- 1.1250-5 · Property with two or more elements.
- 1.1251-1 · General rule for treatment of gain from disposition of…
- 1.1251-2 · Excess deductions account.
- 1.1251-3 · Definitions relating to section 1251.
- 1.1251-4 · Exceptions and limitations.
- 1.1252-1 · General rule for treatment of gain from disposition of farm…
- 1.1252-2 · Special rules.
- 1.1254-0 · Table of contents for section 1254 recapture rules.
- 1.1254-1 · Treatment of gain from disposition of natural resource…
- 1.1254-2 · Exceptions and limitations.
- 1.1254-3 · Section 1254 costs immediately after certain acquisitions.
- 1.1254-4 · Special rules for S corporations and their shareholders.
- 1.1254-5 · Special rules for partnerships and their partners.
- 1.1254-6 · Effective/applicability date.