Amendments
2015—Subsec. (b). [Pub. L. 114–41] substituted “6 months” for “3 months” in first sentence and inserted at end “In the case of any return for a taxable year of a C corporation which ends on December 31 and begins before January 1, 2026, the first sentence of this subsection shall be applied by substituting ‘5 months’ for ‘6 months’. In the case of any return for a taxable year of a C corporation which ends on June 30 and begins before January 1, 2026, the first sentence of this subsection shall be applied by substituting ‘7 months’ for ‘6 months’.”
2002—Subsec. (c). [Pub. L. 107–134] amended heading and text of subsec. (c) generally. Prior to amendment, text read as follows: “For time for performing certain acts postponed by reason of war, see section 7508.”
1982—Subsec. (b). [Pub. L. 97–248] struck out “or the first installment thereof required under section 6152” after “the amount properly estimated as its tax”.
1976—[Pub. L. 94–455] struck out “or his delegate” after “Secretary” wherever appearing.
Statutory Notes and Related Subsidiaries
Effective Date of 2015 Amendment
[Pub. L. 114–41, title II, § 2006(c)(2)], July 31, 2015, [129 Stat. 459], provided that: “The amendments made by this subsection [amending this section] shall apply to returns for taxable years beginning after December 31, 2015.”
Effective Date of 2002 Amendment
[Pub. L. 107–134, title I, § 112(f)], Jan. 23, 2002, [115 Stat. 2435], provided that: “The amendments made by this section [enacting section 1148 of Title 29, Labor, and amending this section, sections 6161, 6404, 7508, and 7508A of this title, and section 1302 of Title 29] shall apply to disasters and terroristic or military actions occurring on or after September 11, 2001, with respect to any action of the Secretary of the Treasury, the Secretary of Labor, or the Pension Benefit Guaranty Corporation occurring on or after the date of the enactment of this Act [Jan. 23, 2002].”
Effective Date of 1982 Amendment
Amendment by [Pub. L. 97–248] applicable to taxable years beginning after Dec. 31, 1982, see [section 234(e) of Pub. L. 97–248], set out as a note under section 6655 of this title.
Modification of Due Dates by Regulation
[Pub. L. 114–41, title II, § 2006(b)], July 31, 2015, [129 Stat. 458], as amended by [Pub. L. 114–94, div. C, title XXXII, § 32104(a)], Dec. 4, 2015, [129 Stat. 1738], provided that: “In the case of returns for taxable years beginning after December 31, 2015, the Secretary of the Treasury, or the Secretary’s designee, shall modify appropriate regulations to provide as follows:“(1)
The maximum extension for the returns of partnerships filing Form 1065 shall be a 6-month period ending on September 15 for calendar year taxpayers.
“(2)
The maximum extension for the returns of trusts filing Form 1041 shall be a 5½-month period ending on September 30 for calendar year taxpayers.
“[(3)
Repealed. [Pub. L. 114–94, div. C, title XXXII, § 32104(a)], Dec. 4, 2015, [129 Stat. 1738].]
“(4)
The maximum extension for the returns of organizations exempt from income tax filing Form 990 (series) shall be an automatic 6-month period ending on November 15 for calendar year filers.
“(5)
The maximum extension for the returns of organizations exempt from income tax that are required to file Form 4720 returns of excise taxes shall be an automatic 6-month period beginning on the due date for filing the return (without regard to any extensions).
“(6)
The maximum extension for the returns of trusts required to file Form 5227 shall be an automatic 6-month period beginning on the due date for filing the return (without regard to any extensions).
“(7)
The maximum extension for filing Form 6069, Return of Excise Tax on Excess Contributions to Black Lung Benefit Trust Under Section 4953 and Computation of Section 192 Deduction, shall be an automatic 6-month period beginning on the due date for filing the return (without regard to any extensions).
“(8)
The maximum extension for a taxpayer required to file Form 8870 shall be an automatic 6-month period beginning on the due date for filing the return (without regard to any extensions).
“(9)
The due date of Form 3520–A, Annual Information Return of a Foreign Trust with a United States Owner, shall be the 15th day of the 3d month after the close of the trust’s taxable year, and the maximum extension shall be a 6-month period beginning on such day.
“(10)
The due date of Form 3520, Annual Return to Report Transactions with Foreign Trusts and Receipt of Certain Foreign Gifts, for calendar year filers shall be April 15 with a maximum extension for a 6-month period ending on October 15.
“(11)
The due date of FinCEN Report 114 (relating to Report of Foreign Bank and Financial Accounts) shall be April 15 with a maximum extension for a 6-month period ending on October 15 and with provision for an extension under rules similar to the rules in Treas. Reg. section 1.6081–5. For any taxpayer required to file such Form for the first time, any penalty for failure to timely request for, or file, an extension, may be waived by the Secretary.”
[[Pub. L. 114–94, div. C, title XXXII, § 32104(b)], Dec. 4, 2015, [129 Stat. 1738], provided that: “The amendment made by this section [amending [section 2006(b) of Pub. L. 114–41], set out above] shall apply to returns for taxable years beginning after December 31, 2015.”]