26 U.S.C. § 4963 — Definitions
submitted 46 years ago by Pub. L. 96-596 to r/title-26-INTERNAL-REVENUE-CODE · 426 words · no verdicts yet
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For purposes of this subchapter, the term “first tier tax” means any tax imposed by subsection (a) of section 4941, 4942, 4943, 4944, 4945, 4951, 4952, 4955, 4958, 4966, 4967, 4971, or 4975.
For purposes of this subchapter, the term “second tier tax” means any tax imposed by subsection (b) of section 4941, 4942, 4943, 4944, 4945, 4951, 4952, 4955, 4958, 4971, or 4975.
For purposes of this subchapter, the term “taxable event” means any act (or failure to act) giving rise to liability for tax under section 4941, 4942, 4943, 4944, 4945, 4951, 4952, 4955, 4958, 4966, 4967, 4971, or 4975.
For purposes of this subchapter—
Except as provided in paragraph (2), the term “correct” has the same meaning as when used in the section which imposes the second tier tax.
The term “correct” means—
in the case of the second tier tax imposed by section 4942(b), reducing the amount of the undistributed income to zero,
in the case of the second tier tax imposed by section 4943(b), reducing the amount of the excess business holdings to zero, and
in the case of the second tier tax imposed by section 4944, removing the investment from jeopardy.
For purposes of this subchapter—
The term “correction period” means, with respect to any taxable event, the period beginning on the date on which such event occurs and ending 90 days after the date of mailing under section 6212 of a notice of deficiency* with respect to the second tier tax imposed on such taxable event, extended by—
any period in which a deficiency cannot be assessed under section 6213(a) (determined without regard to the last sentence of section 4961(b)), and
any other period which the Secretary* determines is reasonable and necessary to bring about correction of the taxable event.
For purposes of paragraph (1), the taxable event shall be treated as occurring—
in the case of section 4942, on the first day of the taxable year* for which there was a failure to distribute income,
in the case of section 4943, on the first day on which there are excess business holdings,
in the case of section 4971, on the last day of the plan year in which there is an accumulated funding deficiency, and
in any other case, the date on which such event occurred.
Source credit: (Added Pub. L. 96–596, § 2(c)(1), Dec. 24, 1980, 94 Stat. 3473, § 4962; renumbered § 4963, Pub. L. 98–369, div. A, title III, § 305(a), July 18, 1984, 98 Stat. 783; amended Pub. L. 100–203, title X, § 10712(b)(3), Dec. 22, 1987, 101 Stat. 1330–467; Pub. L. 104–168, title XIII, § 1311(c)(2), July 30, 1996, 110 Stat. 1478; Pub. L. 109–280, title XII, § 1231(b)(1), Aug. 17, 2006, 120 Stat. 1098.)
- 1980Enacted · Pub. L. 96-596 · 94 Stat. 3473
- 1984Amended · Pub. L. 98-369 · 98 Stat. 783
- 1987Amended · Pub. L. 100-203 · 101 Stat. 1330
- 1996Amended · Pub. L. 104-168 · 110 Stat. 1478
- 2006Amended · Pub. L. 109-280 · 120 Stat. 1098
A history note hasn’t been published yet. The record shows enactment by Pub. L. 96-596 on 1980-12-24.
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