Treasury Regulations (26 C.F.R.)

26 CFR § 301.6224(c)-2

Pass-thru partner binds indirect partners.

Official textecfr.govlast amended

# (a)

Pass-thru partner binds unidentified indirect partners—(1) In general. If a pass-thru partner enters into a settlement agreement with the Internal Revenue Service with respect to partnership items, that agreement binds all indirect partners holding an interest in that partnership through the pass-thru partner except those indirect partners who have been identified as provided in section 6223(c)(3) and § 301.6223(c)-1 at least 30 days before the date on which the agreement is entered into. A settlement with respect to partnership items includes partnership-level determinations relating to any penalty, addition to tax, and additional amounts that relate to adjustments to partnership items. However, if, in addition to the interest in the partnership held through the pass-thru partner entering into a settlement agreement, an indirect partner holds a separate interest in that partnership, either directly or indirectly through a different pass-thru partner, then the indirect partner shall not be bound by that settlement agreement with respect to the interests held directly or indirectly through a pass-thru partner other than the pass-thru partner entering into the settlement agreement.

(2) Example. The provisions of paragraph (a)(1) of this section may be illustrated by the following example:

Example.

Partnership J is a partner in partnership P. C is a partner in J but has not been identified as provided in section 6223(c)(3) and § 301.6223(c)-1. The only interest that C holds in P is through J. The tax matters partner of J enters into a settlement agreement with the Internal Revenue Service with respect to partnership items arising from P. C is bound by the settlement agreement entered into by the tax matters partner of J.

# (b) Person in pass-thru partner authorized to enter into settlement agreement that binds indirect partners.

In the case of a pass-thru partner that is—

(1) A partnership within the meaning of section 6231(a)(1), the tax matters partner of that partnership;

(2) A partnership other than a partnership described in paragraph (b)(1) of this section, any general partner of that partnership;

(3) An S corporation, any officer of that S corporation; or

(4) A trust, estate, or nominee, any person authorized in writing to act on behalf of that trust, estate, or nominee, may enter into a settlement agreement with the Internal Revenue Service on behalf of its respective entity that would bind the unidentified indirect partners that hold a partnership interest through the pass-thru partner.

# (c) Effective date.

This section is applicable to partnership taxable years beginning on or after October 4, 2001. For years beginning prior to October 4, 2001, see § 301.6224(c)-2T contained in 26 CFR part 1, revised April 1, 2001.

[T.D. 8965, 66 FR 50552, Oct. 4, 2001]

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In this part (40 sections)
  1. 301.6222-1 · Partner's return must be consistent with partnership…
  2. 301.6222(a)-1 · Consistent treatment of partnership items.
  3. 301.6222(a)-2 · Application of consistent reporting and notification…
  4. 301.6222(b)-1 · Notification to the Internal Revenue Service when…
  5. 301.6222(b)-2 · Effect of notification of inconsistent treatment.
  6. 301.6222(b)-3 · Partner receiving incorrect schedule.
  7. 301.6223-1 · Partnership representative.
  8. 301.6223-2 · Binding effect of actions of the partnership and…
  9. 301.6223(a)-1 · Notice sent to tax matters partner.
  10. 301.6223(a)-2 · Withdrawal of notice of the beginning of an…
  11. 301.6223(b)-1 · Notice group.
  12. 301.6223(c)-1 · Additional information regarding partners furnished to…
  13. 301.6223(e)-1 · Effect of Internal Revenue Service's failure to provide…
  14. 301.6223(e)-2 · Elections if Internal Revenue Service fails to provide…
  15. 301.6223(f)-1 · Duplicate copy of final partnership administrative…
  16. 301.6223(g)-1 · Responsibilities of the tax matters partner.
  17. 301.6223(h)-1 · Responsibilities of pass-thru partner.
  18. 301.6224(a)-1 · Participation in administrative proceedings.
  19. 301.6224(b)-1 · Partner may waive rights.
  20. 301.6224(c)-1 · Tax matters partner may bind nonnotice partners.
  21. 301.6224(c)-2 · Pass-thru partner binds indirect partners.
  22. 301.6224(c)-3 · Consistent settlements.
  23. 301.6225-1 · Partnership adjustment by the Internal Revenue Service.
  24. 301.6225-2 · Modification of imputed underpayment.
  25. 301.6225-3 · Treatment of partnership adjustments that do not result in…
  26. 301.6226-1 · Election for an alternative to the payment of the imputed…
  27. 301.6226-2 · Statements furnished to partners and filed with the IRS.
  28. 301.6226-3 · Adjustments taken into account by partners.
  29. 301.6226(a)-1 · Principal place of business of partnership.
  30. 301.6226(b)-1 · 5-percent group.
  31. 301.6226(e)-1 · Jurisdictional requirement for bringing an action in…
  32. 301.6226(f)-1 · Scope of judicial review.
  33. 301.6227-1 · Administrative adjustment request by partnership.
  34. 301.6227-2 · Determining and accounting for adjustments requested in an…
  35. 301.6227-3 · Adjustments requested in an administrative adjustment…
  36. 301.6227(c)-1 · Administrative adjustment request by the tax matters…
  37. 301.6227(d)-1 · Administrative adjustment request filed on behalf of a…
  38. 301.6229(b)-1 · Extension by agreement.
  39. 301.6229(b)-2 · Special rule with respect to debtors in title 11 cases.
  40. 301.6229(c)(2)-1 · Substantial omission of income.
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