Reg. § 301.6233(b)-1 Interest and penalties with respect to the adjustment year return.
(a) Interest and penalties with respect to failure to pay imputed underpayment on the date prescribed In the case of any failure to pay an imputed underpayment on the date prescribed for such payment (as described in ), a partnership is liable for—
(1) Interest as determined under of this section; and
(2) Any penalty, addition to tax, or additional amount as determined under of this section.
(b) Imputed underpayments to which this section applies This section applies to the portion of an imputed underpayment determined by the Internal Revenue Service (IRS) under section , or an imputed underpayment resulting from adjustments requested by a partnership in an administrative adjustment request under section , that is not paid by the date prescribed for payment under .
(c) Interest Interest determined under this is the interest that would be imposed under chapter 67 of the Internal Revenue Code (Code) by treating any unpaid amount of the imputed underpayment as an underpayment of tax imposed for the adjustment year (as defined in ). The interest under this begins on the date prescribed for payment (as described in ) and ends on the date payment of the imputed underpayment is made.
(d) Penalties If a partnership fails to pay an imputed underpayment by the date prescribed for payment (as described in ), section applies to such failure, and any unpaid amount of the imputed underpayment is treated as if it were an underpayment of tax for purposes of part II of subchapter A of chapter 68 of the Code. For purposes of this section, the penalty under 6651(a)(2) is applied by treating the unpaid amount of the imputed underpayment as the unpaid amount shown as tax on a return required under subchapter A of chapter 61 of the Code.
(e) Applicability date
(1) In general Except as provided in of this section, this section applies to partnership taxable years beginning after December 31, 2017, and ending after August 12, 2018.
(2) Election under § 301.9100-22 in effect This section applies to any partnership taxable year beginning after November 2, 2015, and before January 1, 2018, for which a valid election under is in effect.
[T.D. 9844, 84 FR 6565, Feb. 27, 2019]