Treasury Regulations (26 C.F.R.)

26 CFR § 301.6229(f)-1

Special rule for partial settlement agreements.

Official textecfr.govlast amended

# (a) In general.

If a partner enters into a settlement agreement with the Internal Revenue Service with respect to the treatment of some of the partnership items or partnership-level determinations of any penalty, addition to tax, or additional amount in dispute for a partnership taxable year, but one or more other partnership items or determinations remain in dispute, the period of limitations for assessing any tax attributable to the settled items shall be determined as if such agreement had not been entered into.

# (b) Other items remaining in dispute.

Pursuant to section 6226(c), a partner is a party to a partnership-level judicial proceeding with respect to partnership items and partnership-level determinations of penalties, additions to tax or additional amounts. When a partner settles partnership items, the settled partnership items convert to nonpartnership items under section 6231(b)(1)(C) and will not be subject to any future or pending partnership-level proceeding pursuant to section 6226(d)(1). The remaining unsettled partnership items, as well as any unsettled penalty, addition to tax, or additional amount that relates to an adjustment to a partnership item (regardless of whether the partnership item to which it relates has been settled), however, will remain subject to determination under partnership-level administrative and judicial procedures. Consequently, any remaining unsettled items, including any unsettled penalty, addition to tax, or additional amount that relates to an adjustment to a partnership item, will be deemed to remain in dispute. Thus, the period for assessing any tax attributable to the settled items will be governed by the period for assessing any tax attributable to the remaining unsettled items.

# (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 § 301.6229(f)-1T contained in 26 CFR part 1, revised April 1, 2001.

[T.D. 8965, 66 FR 50555, Oct. 4, 2001]

Source: view the official text

Report a problem

What's wrong?

Sent anonymously with this page's citation. No personal information is collected.

In this part (40 sections)
  1. 301.6224(c)-3 · Consistent settlements.
  2. 301.6225-1 · Partnership adjustment by the Internal Revenue Service.
  3. 301.6225-2 · Modification of imputed underpayment.
  4. 301.6225-3 · Treatment of partnership adjustments that do not result in…
  5. 301.6226-1 · Election for an alternative to the payment of the imputed…
  6. 301.6226-2 · Statements furnished to partners and filed with the IRS.
  7. 301.6226-3 · Adjustments taken into account by partners.
  8. 301.6226(a)-1 · Principal place of business of partnership.
  9. 301.6226(b)-1 · 5-percent group.
  10. 301.6226(e)-1 · Jurisdictional requirement for bringing an action in…
  11. 301.6226(f)-1 · Scope of judicial review.
  12. 301.6227-1 · Administrative adjustment request by partnership.
  13. 301.6227-2 · Determining and accounting for adjustments requested in an…
  14. 301.6227-3 · Adjustments requested in an administrative adjustment…
  15. 301.6227(c)-1 · Administrative adjustment request by the tax matters…
  16. 301.6227(d)-1 · Administrative adjustment request filed on behalf of a…
  17. 301.6229(b)-1 · Extension by agreement.
  18. 301.6229(b)-2 · Special rule with respect to debtors in title 11 cases.
  19. 301.6229(c)(2)-1 · Substantial omission of income.
  20. 301.6229(e)-1 · Information with respect to unidentified partner.
  21. 301.6229(f)-1 · Special rule for partial settlement agreements.
  22. 301.6230(b)-1 · Request that correction not be made.
  23. 301.6230(c)-1 · Claim arising out of erroneous computation, etc.
  24. 301.6230(e)-1 · Tax matters partner required to furnish names.
  25. 301.6231-1 · Notice of proceedings and adjustments.
  26. 301.6231(a)(1)-1 · Exception for small partnerships.
  27. 301.6231(a)(2)-1 · Persons whose tax liability is determined indirectly…
  28. 301.6231(a)(3)-1 · Partnership items.
  29. 301.6231(a)(5)-1 · Definition of affected item.
  30. 301.6231(a)(6)-1 · Computational adjustments.
  31. 301.6231(a)(7)-1 · Designation or selection of tax matters partner.
  32. 301.6231(a)(7)-2 · Designation or selection of tax matters partner for…
  33. 301.6231(a)(12)-1 · Special rules relating to spouses.
  34. 301.6231(c)-1 · Special rules for certain applications for tentative…
  35. 301.6231(c)-2 · Special rules for certain refund claims based on…
  36. 301.6231(c)-3 · Limitation on applicability of §§ 301.6231(c)-4 through…
  37. 301.6231(c)-4 · Termination and jeopardy assessment.
  38. 301.6231(c)-5 · Criminal investigations.
  39. 301.6231(c)-6 · Indirect method of proof of income.
  40. 301.6231(c)-7 · Bankruptcy and receivership.
Full table of contents →