Treasury Regulations (26 C.F.R.)

26 CFR § 301.6226(a)-1

Principal place of business of partnership.

Official textecfr.govlast amended

# (a) In general.

The principal place of a partnership's business for purposes of determining the appropriate district court in which a petition for a readjustment of partnership items may be filed is its principal place of business as of the date the petition is filed.

# (b) Example.

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

Example.

The principal place of Partnership A's business on the day that the notice of the final partnership administrative adjustment was mailed to A's tax matters partner was Cincinnati, Ohio. However, by the day on which a petition seeking judicial review of that adjustment was filed, A had moved its principal place of business to Louisville, Kentucky. For purposes of section 6226(a)(2), A's principal place of business is Louisville.

# (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 § 301.6226(a)-1T contained in 26 CFR part 1, revised April 1, 2001.

[T.D. 8965, 66 FR 50553, Oct. 4, 2001]

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In this part (40 sections)
  1. 301.6223(a)-1 · Notice sent to tax matters partner.
  2. 301.6223(a)-2 · Withdrawal of notice of the beginning of an…
  3. 301.6223(b)-1 · Notice group.
  4. 301.6223(c)-1 · Additional information regarding partners furnished to…
  5. 301.6223(e)-1 · Effect of Internal Revenue Service's failure to provide…
  6. 301.6223(e)-2 · Elections if Internal Revenue Service fails to provide…
  7. 301.6223(f)-1 · Duplicate copy of final partnership administrative…
  8. 301.6223(g)-1 · Responsibilities of the tax matters partner.
  9. 301.6223(h)-1 · Responsibilities of pass-thru partner.
  10. 301.6224(a)-1 · Participation in administrative proceedings.
  11. 301.6224(b)-1 · Partner may waive rights.
  12. 301.6224(c)-1 · Tax matters partner may bind nonnotice partners.
  13. 301.6224(c)-2 · Pass-thru partner binds indirect partners.
  14. 301.6224(c)-3 · Consistent settlements.
  15. 301.6225-1 · Partnership adjustment by the Internal Revenue Service.
  16. 301.6225-2 · Modification of imputed underpayment.
  17. 301.6225-3 · Treatment of partnership adjustments that do not result in…
  18. 301.6226-1 · Election for an alternative to the payment of the imputed…
  19. 301.6226-2 · Statements furnished to partners and filed with the IRS.
  20. 301.6226-3 · Adjustments taken into account by partners.
  21. 301.6226(a)-1 · Principal place of business of partnership.
  22. 301.6226(b)-1 · 5-percent group.
  23. 301.6226(e)-1 · Jurisdictional requirement for bringing an action in…
  24. 301.6226(f)-1 · Scope of judicial review.
  25. 301.6227-1 · Administrative adjustment request by partnership.
  26. 301.6227-2 · Determining and accounting for adjustments requested in an…
  27. 301.6227-3 · Adjustments requested in an administrative adjustment…
  28. 301.6227(c)-1 · Administrative adjustment request by the tax matters…
  29. 301.6227(d)-1 · Administrative adjustment request filed on behalf of a…
  30. 301.6229(b)-1 · Extension by agreement.
  31. 301.6229(b)-2 · Special rule with respect to debtors in title 11 cases.
  32. 301.6229(c)(2)-1 · Substantial omission of income.
  33. 301.6229(e)-1 · Information with respect to unidentified partner.
  34. 301.6229(f)-1 · Special rule for partial settlement agreements.
  35. 301.6230(b)-1 · Request that correction not be made.
  36. 301.6230(c)-1 · Claim arising out of erroneous computation, etc.
  37. 301.6230(e)-1 · Tax matters partner required to furnish names.
  38. 301.6231-1 · Notice of proceedings and adjustments.
  39. 301.6231(a)(1)-1 · Exception for small partnerships.
  40. 301.6231(a)(2)-1 · Persons whose tax liability is determined indirectly…
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