part20-24
- 20.2.14.1
Interest Netting Overview - 20.2.14.2
Applicable Revenue Procedures - 20.2.14.3
Annual Interest Netting - 20.2.14.4
Within Module Interest Netting under Revenue Procedure 94–60
- 20.2.14.5
Manual Annual Netting Procedures - 20.2.14.6
Net Rate Interest Netting - Exhibit 20.2.14-1
Computer Generated Within Module (Annual) NettingIRM Reference
20.2.14.4.1 - Exhibit 20.2.14-2
Manually Computed Within Module (Annual) NettingIRM Reference
20.2.14.5 - Exhibit 20.2.14-3
Offset Methodology ExamplesIRM Reference 20.2.14.6.8 - Exhibit 20.2.14-4
Net Rate Computations – More than One Taxpayer Identification Number
- Exhibit 20.2.14-5
Special Net Rate Interest Computations - Exhibit 20.2.14-6
Special Net Rate Interest Computations – More than One Overpayment
PeriodIRM Reference 20.2.14.6.11 - Exhibit 20.2.14-7
Special Net Rate Interest Computations – Overlapping Period Completely
UsedIRM Reference 20.2.14.6.6 - Exhibit 20.2.14-8
Special Net Rate Interest Computations – Non-Corporate Computations
before 01/01/1999 Rate EqualizationIRM Reference 20.2.14.6.11 - Exhibit 20.2.14-9
Special Net Rate Interest Computations – Later Assessment Interest
Period Overlaps a Previously Unused Overpayment PeriodIRM Reference 20.2.14.6.6
- Exhibit 20.2.14-10
Net Rate Interest Computation – Settled Underpayment Year and Current
Overpayment Year IRM Reference 20.2.14.6.11 - Exhibit 20.2.14-11
Special Net Rate Interest Computations – Net Rate Computation when
a Form 2285 is UsedIRM Reference 20.2.14.6.11 - Exhibit 20.2.14-12
Net Rate Interest Computation Involving a Subsequent Interest Adjustment
after the Net Rate was AppliedIRM Reference 20.2.14.6.11 - Exhibit 20.2.14-13
Examples Illustrating how to Determine Timely Filing of a Net Rate
ClaimIRM Reference 20.2.14.6.3 - Exhibit 20.2.14-14
Net Rate Processing FlowchartIRM Reference 20.2.14.6.3 - Exhibit 20.2.14-15
Procedures for Processing Net Rate Claims – Claim Reject - Exhibit 20.2.14-16
Procedures for Processing Net Rate Claims – Full or Partial Claim
Disallowance - Exhibit 20.2.14-17
Net Rate Claim ProcessingIRM Reference 20.2.14.6.10 - Exhibit 20.2.14-18
Preparing a Time Line & Creating ACT Report 530IRM Reference
20.2.14.6.4 - Exhibit 20.2.14-19
Statute Highlights for Net Rate ClaimsIRM Reference 20.2.14.6.2
-
The Tax Reform Act of 1986 authorized different interest rates for underpayments
and overpayments of tax. Because of the difference, it is possible that a
taxpayer may be charged interest on an underpayment at a higher rate for a
period in which the taxpayer was entitled to overpayment interest at a lower
rate.Example:
Marin Corporation EIN 66–1000100, filed
Form 1120 for the tax period ending December 31, 1999 showing an overpayment
of $1,654,900.00, that was refunded with interest on October 22, 2000. It
is later determined that Marin Corporation owes additional tax in the amount
of $595,890.00 for the same tax return. Underpayment interest is accruing
at a higher rate between March 15, 2000, (the return due date) and October
13, 2000, (the date of the refund minus 9-days back-off) than was allowed
on the overpayment. -
Internal Revenue Code section 6601(f) provides that, if any portion
of a tax is satisfied by credit of an overpayment, no interest shall be charged
on the portion of tax satisfied for any period during which interest would
have been allowed on the overpayment if the credit had not been made. -
The Service will consider, within a single tax period, all increases
and decreases in a taxpayer’s liabilities before applying the statutory
interest rules to a tax module. Known as “within module (or
annual) netting”
this is accomplished by computing underpayment interest
at overpayment rates during a period of time when interest on an underpayment
overlaps a period of time during which interest was allowed and refunded on
an overpayment.Example:
In the previous example, Marin Corporation’s
underpayment interest on the underpayment of $595,890.00 would accrue at the
lower overpayment interest rate from March 15, 2000 to October 13, 2000 (refund
date minus 9-days). Interest would then resume at the higher underpayment
interest rate from October 23, 2000, until paid. -
Section 3301 of the IRS Restructuring and Reform Act of 1998 added IRC
section 6621(d), which authorizes “net rate”
interest
netting between two or more tax modules.Note:
While within module netting
allows for interest-free periods when no credit interest
was paid, net rate netting does not. In this case, because the netting is
within the same module, no debit interest is charged from October 14, 2000
to October 22, 2000. However, if this refund were being netted against another
tax period, debit interest would begin on October 14, 2000, and be charged
at the overpayment rate during the “netting period”
. -
Effective January 1, 1999, underpayment and overpayment interest rates
are equalized for non-corporate taxpayers, therefore interest netting under
6621(d) is not applicable. -
The Service purchased the Automated Computation Tool (ACT) InterestNet
by Decision Modeling Inc. specifically designed to perform net rate interest
netting computations. In addition to Command Code COMPA, the
Service supports only the ACT InterestNet software for calculating interest
. See IRM 20.2.6 for Methods of Computing Interest.
-
Rules that affect interest netting include:
-
Revenue Procedure 94-60 provides procedures to equalize the interest rate
differential between underpayment and overpayment rates during ”
overlapping”
periods within the same tax module. -
Revenue Procedures 99-19 and 99-43; provide guidance for net rate interest
netting between modules for interest accruing prior to
October 1, 1998. -
Revenue Procedure 2000-26 provides guidance on the application of section
6621(d) for interest netting between modules, if the overlapping period of
differential interest rates begins after September 30, 1998.
Note:
These procedures do not apply to interest accruing after
December 31, 1998 for non-corporate taxpayers (the interest rate on underpayments
and overpayment is equal for such taxpayers on or after January 1, 1999).
However, non-corporate taxpayers, subject to the higher 120 percent (tax motivated
transaction) rate of interest under the repealed IRC section 6621(c) are entitled
to annual netting consideration. -
-
Revenue Procedure 94-60 explains how the Service is to equalize or “net”
underpayment and overpayment interest rates for the same
tax module. When “netting”
interest, underpayment interest
is computed at overpayment rates during periods of time when an underpayment
period on a subsequent assessment overlaps a period in time where credit interest
was previously allowed on a tax overpayment.
-
The following example illustrates an overlapping underpayment/overpayment
interest period:Example:
A taxpayer files an amended income
tax return (Form 1040X), increasing his 1995 tax liability by $500.00. The
23C date of the additional assessment is September 9, 1996. The original return
was timely filed and overpaid by $100.00 based on prepaid credits. The overpayment,
with interest, was refunded on July 15, 1996. -
Steps required to determine the overlapping interest periods for annual
interest netting:-
Determine the underpayment interest computation period.
Debit interest is owed from April 15, 1996 (RDD), to September 9,
1996, (23C date of the assessment). -
Determine the overpayment interest computation period on
the refund. Credit interest on the refund was computed from April 15,
1996 to July 2, 1996, (refund date less 13-days). -
The overlapping underpayment/overpayment interest period is from April
15, 1996 to July 2, 1996. This is the time frame during which both debit and
credit interest accrued during the same time period. Because no interest was
allowed during the period July 3, 1996 to July 15, 1996, that period becomes
an interest-free period for underpayment interest too, up to the amount of
the refund.
-
-
Compute “netted interest”
(debit interest charged
at the lower credit interest rate) on the amount of underpayment ”
equal”
to the overpayment during the overlapping period. Netted interest
is “charged”
on $100 of the $500 underpayment during the
overlapping interest period from April 15, 1996 to July 2, 1996. Continue
the debit interest computation on the netted underpayment amount of $100 plus
the netted interest of $1.50 from the July 15, 1996 refund date to the interest
computation ending date.Note:
The 9/13-day “back-off period
”
for computation of overpayment interest on the refund (see IRM 20.2.4,
Overpayment Interest) is “interest-free”
. No overpayment
interest is allowed during that period. Therefore, no underpayment interest
is charged during that period (up to the amount of the original overpayment). -
Compute debit interest on the amount of underpayment that exceeds the
overpayment from the return due date/applicable interest
start date to the interest computation ending date.
Underpayment interest is charged from April 15, 1996 on the remaining $400
to the September 9, 1996 assessment date.
-
Although there are some differences in the way netting is performed
for a single module (within module netting) and multiple modules (net rate
netting), the general computation method is the same. The following steps
must be taken in order to determine the netted interest amounts:-
Determine the overlapping interest computation period(s).
Note:
It may be helpful to prepare a time line reflecting the underpayment
and overpayment interest computation periods to determine where the overlapping
period(s) occur. -
Determine the overlapping amount.
-
Determine the overlapping rates.
-
Compute netted interest.
-
Compute underpayment interest.
-
Determine amounts and periods still available for netting.
-
-
Using the following example, each step of the process will be discussed
throughout the section.Example:
Marin Corporation, EIN 66-1000100,
filed Form 1120 for the tax period ending December 31, 1999 showing an overpayment
of $1,654,900.00 which was refunded with the 23C date of October 22, 2000.
Overpayment interest of $62,829.13 was computed to October 13, 2000, at the “high”
rate on the first $10,000.00 and at the GATT rate on
the remainder. It is later determined that Marin Corporation owes additional
tax in the amount of $595,890.00 for the same tax return and the taxpayer
is not subject to large corporate underpayment (LCU) interest. The taxpayer
sent a payment of $595,890.00 on August 21, 2002. There are no interest waiver
periods. Interest will be computed to September 12, 2002 the date the notice
was issued.
-
All net rate interest netting cases should be computed
using the Automated Computation Tool (ACT) which is the InterestNet
software developed by Decision Modeling Inc. (DMI). Within module netting
is usually less complex and should be computed using the ACT software. The
ACT software completes the following steps for you:-
Single module interest positions
-
Benefits of offsetting
-
Interest rate equalization
Caution:
The ACT software computes
net rate interest netting
to the taxpayer’s best
benefit by doing a day by day comparison and applying the net rate where the
interest rate spread is the greatest. It is not administratively feasible
to do this kind of comparison with other interest computation tools or IDRS.
The ACT software should always be used for net rate
interest netting. -
-
It is necessary to know how interest netting was accomplished
prior to use of the ACT.
-
Compute a running module balance on the tax module to verify the original
debit and credit interest amounts. -
If you are unable to determine how the interest was originally computed,
the original interest computations can often be found with the adjustment
source document. -
If a source document is unavailable, and information on an adjustment
is needed to accurately compute the interest computation, all avenues must
be used to locate the required documentation, such as;-
Ordering all applicable Document Locator Numbers (DLNs).
-
Calling the offices/employees that may have had the case in the past,
to determine if an “office file”
is available. -
Contacting the taxpayer directly to obtain copies of any documents they
may have (e.g. ACT Reports, Form 2285, etc.)
-
-
Prepare a time line to determine where the overlapping period(s) occur.
-
Begin the time line with the earliest tax event, usually the return due
date of the oldest tax period, -
Continue building the time line with each event that impacts interest
(such as payments, refunds, penalty assessment, waiver periods, etc.) for
that entire tax module, -
Indicate relevant information, such as GATT/LCU/TMT along the time line,
-
Superimpose a similar time line for the overlapping period over the first
time line, -
Create and superimpose additional time lines as needed to cover all the
overlapping periods. -
Indicate overlapping periods on the time line.
-
Identify unused and unnetted periods and amounts.
Note:
The time line may be prepared by hand or through the use
of the drawing feature in a word processing software. See Figure 20.2.14-1
for an example of a time line based on the previous example for Marin Corporation. -
-
In the Marin Corporation example, the overlapping period is from March
15, 2000, the return due date to October 13, 2000, the last day overpayment
interest was paid. For netting purposes, do not include periods when no overpayment
interest was paid.
-
The overlapping amount is the lesser of the running module balance for
either underpayment or overpayment including interest. -
In the previous Marin Corporation example, the interest start date for
both the overpayment and the underpayment are the same, March 15, 2000. The
overpayment amount on which credit interest is allowed is $1,654,900.00. The
underpayment on which debit interest is charged is $595,890.00. -
In this example the underpayment is the lesser amount, so the overlapping
amount is $595,890.00 as of March 15, 2000.Figure 20.2.14-1
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Overlapping Period Time Line
-
Generally, the net rate adjustment is made to the underpayment module
and underpayment interest is assessed at the overpayment rate allowed on the
overlapping overpayment module. -
Because the Service calculated interest differently when computing GATT
overpayment interest prior to January 1, 1999, overpayment
interest is to be recomputed in the same manner as originally allowed. To
allow the taxpayer the best benefit of netting, if the entire overpayment
is not used, use the GATT rate first, then the higher rate for net rate purposes.
See IRM 20.2.4.9.3 for instructions on computing interest at the ”
GATT”
rate. -
In the example for Marin Corporation the amount of the overpayment subject
to the GATT rate exceeds the underpayment amount so the entire net rate adjustment
will be computed at the GATT rate.Figure 20.2.14-2
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Overlapping Period Time Line
-
Using the overlapping period, amount, and rates determined above, compute
underpayment interest at the lower overpayment rate. -
In the Marin Corporation example, GATT interest is computed on $595,890.00
from March 15, 2000 to October 13, 2000 for a total of $22,590.66. This is
the netted interest amount and will be input with a TC 772.
-
At the end of the netting period, underpayment interest continues on
the running module balance at the underpayment rate. -
In the Marin Corporation example, the module balance at the end of the
netting period is the principal of $595,890.00 plus the netted interest of
$22,590.66. Because normal underpayment interest processing allows an interest-free
(9-day back-off) period on this module from October 14 to October 22, begin
corporate underpayment interest on $618,480.66 on October 23, 2000 and compute
a running module balance until the date of the notice, September 12, 2002.
-
The Automated Computation Tool is programmed to complete all of the
above steps to correctly compute both within module and net rate interest
netting once the correct data has been input for each module.Note:
While
the ACT can perform the interest netting computations, it is vital that the
module information is correctly analyzed and entered into the program. -
First, enter the tax module information into the program to verify the
previous interest as shown in Figure 20.2.14–3.Figure 20.2.14-3
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ACT Report Update Module Screen
-
Next, enter the current adjustment as shown in Figure 20.2.14–4.
Figure 20.2.14-4
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ACT Report Update Module Screen
-
The program will compute the netted and underpayment interest and provide
a Report 490 Activity Summary (Figure 20.2.14–5) which is to be sent
to the taxpayer. The report must also be used as documentation for the interest
adjustment and be attached to the case to be filed.Figure 20.2.14-5
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ACT Report 490 Activity Summary
-
The Report 490 Figure 20.2.14–5 shows that the account needs the
following interest adjustments made:-
Netted interest (TC 772) in the amount of $22,590.66, and
-
Underpayment interest (TC 340) in the amount of $88,326.66.
Note:
Occasionally,
there is a rounding difference of one cent shown on the report. This difference
should be disregarded.
-
-
Revenue Procedure 94-60 describes procedures for the Service to calculate
interest on an underpayment when the taxpayer has previously received a refund
of an overpayment with interest for the same tax period (within module/annual
interest netting). -
Overlapping periods are defined as occurring when a taxpayer owes underpayment
interest on an underpayment for the same period of time that overpayment interest
was previously paid on an excessive refund. -
Interest netting is unnecessary for interest periods prior to January
1, 1987, as underpayment and overpayment interest rates were equal prior to
that date. Interest netting also does not apply to non-corporate taxpayers
only for interest periods after January 1, 1999 as interest rates were equalized
after that date.Note:
The 120 percent interest rates applicable to tax motivated
transactions (TMT) are subject to netting procedures.
-
Effective January 1993, Master File programming was updated to accomplish
netting within a single module where refunds were issued with
interest. Master File posts the netted interest with a TC 777 which
carries a “999″
in the Julian Date field of the DLN as
shown in Figure 20.2.14-6.Figure 20.2.14-6
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Computer Generated Within Module (Annual) Netting
-
If multiple refunds are involved, beginning with the earliest refund,
Master File separately calculates and posts netted interest charges attributable
to each refund. Each netted interest charge posts with the 23C date of the
related refund. Master File also calculates the netted interest and the underpayment
interest amounts on quick and prompt assessments (Form 2859) on modules where
interest is not restricted. See IRM 20.2.14.4.4, Within Module Netting for
Quick and Prompt Assessments processing instructions. -
Master File calculates the netted interest amount by:
-
Recomputing the correct refund amount (the amount the taxpayer should
have received based upon consideration of the subsequent assessment), if any. -
Recomputing the correct overpayment interest amount (the amount of interest
that the taxpayer should have received on the corrected refund). Master File
uses the same computation method for the overpayment interest as originally
used (see IRM 20.2.4 Overpayment Interest). -
Calculating the netted interest by finding the difference between the
amounts of the interest paid on the refunded overpayment and the recomputed
overpayment interest on the corrected refund.
-
-
Underpayment interest (TC 336, TC 196) is then computed on:
-
The amount of the subsequent assessment, in excess of the refunded overpayment, FROM the due date of the liability to the appropriate interest TO date, and
-
The netted underpayment amount and the netted interest
FROM the 23C date of the refund to the appropriate interest
TO date.
-
-
Master File does not “net”
interest on any tax module
that contains a restricted interest transaction. A restricted interest transaction
can be identified by:-
Transaction Codes (TC) 340, 341, 772, or TC 770 input with Document Code
47 or 54. -
The “-I”
Freeze Code indicating that underpayment
interest is restricted.Caution:
When a tax module is restored
from retention register, the “-I”
Freeze
is set. The interest computation is systemically restricted by Master File.
A corresponding TC 34X may or may not be present.
-
-
The process of applying within module interest netting results in an
underpayment interest charge. Interest rules that pertain to underpayment
interest also apply to netted interest. Master File may not be able to correctly
compute netted interest in modules containing interest-free periods associated
with refunds, IRC section 6601(c), waivers, etc. (see IRM 20.2.5, Interest
on Underpayments) when an interest-free period(s) falls within an overlapping
underpayment/overpayment interest period. Examples include, but are not limited
to:-
One or more interest-free periods due to section 6601(c) waiver periods.
-
Two or more refunds (one issued without interest and one or more issued
with interest) and the underpayment interest period on the subsequent assessment
overlaps both types of refunds.
-
-
Underpayment interest periods which are “interest-free
”
by law are also interest-free for netted interest computations. When
computing netted interest with an underpayment interest-free period within
the FROM and TO dates, suspend netting computations during that interest-free
period. -
Underpayment interest must be restricted with TC 34X if it is determined
that Master File programming is unable to calculate netted interest.
-
Master File is currently programmed to compute within module netting. Do not restrict a tax module for within module netting unless
there is another reason the module must be restricted or it is determined
that Master File cannot correctly compute interest netting on that module. -
The following example illustrates an overlapping underpayment and overpayment
interest period:Example:
Mary James timely files a Form
1040 for the tax period ending December 31, 1997 showing an overpayment in
the amount of $600.00 which was refunded with $9.28 interest on July 17, 1998.
On February 22, 2000, the Service receives an amended income tax return (Form
1040X), increasing her 1997 tax liability by $800.00 with a payment for $800.00.
The amended return is processed and the assessment posts to Master File on
April 2, 2000. -
Using the Automated Computation Tool (ACT), compute a running module
balance including the 13-day back-off period on the refund. The software is
programmed to compute interest netting. See Figure 20.2.14-7 for the ACT input
screen.Figure 20.2.14-7
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ACT Report Update Module Screen
-
The Report 490 Activity Summary shows that underpayment interest in
the amount of $114.15 and netted interest in the amount of $9.28 must be assessed.
See Figure 20.2.14-8.Figure 20.2.14-8
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ACT Report 490 Activity Summary
-
If the Automated Computation Tool is not used,
take the following steps to determine the overlapping interest periods for
within module interest netting:-
Determine the underpayment interest computation period.
Underpayment interest is charged from April 15, 1998 (RDD), to February
22, 2000 (date of the payment for $800.00). Underpayment interest will continue
to the date of the computation April 2, 2000. -
Determine the overpayment interest computation period on
the refund. Overpayment interest on the refund was computed from April
15, 1998 to July 4, 1998 (refund date less 13-days). -
Prepare a time line reflecting the underpayment
and overpayment interest computation periods to determine where the overlapping
period(s) occur. When preparing a time line, the ending date for the overpayment
interest computation period must be the date to which the overpayment interest
was actually computed (i.e., the overpayment interest back-off date). The
overlapping underpayment/overpayment interest period is from April 15, 1998
to July 4, 1998. This is the time frame during which both underpayment and
overpayment interest accrued. -
Compute netted interest (underpayment interest charged
at the lower overpayment interest rate) on the amount of underpayment equal
to the overpayment during the overlapping period. Netted interest is computed
on $600.00 of the $800.00 underpayment during the overlapping interest period
from April 15, 1998 to July 4, 1998. Netted interest on the $600.00 amount
totals $9.28. -
Continue the underpayment interest computation on
the netted underpayment amount of $600.00 plus the netted interest of $9.28
from the July 17, 1998 refund date of the overpayment to the interest computation
ending date. For purpose of this example, use the posting date of April 2,
2000.Note:
The 9/13 day back-off period for computation of overpayment interest
on a generated refund (see IRM 20.2.4 Overpayment Interest) is interest-free.
No overpayment interest is allowed during that period so no underpayment interest
is assessed during that period for within module netting. -
Compute underpayment interest on the amount of underpayment that exceeds
the overpayment from the return due date/applicable interest start date to
the interest computation ending date. In this example, underpayment interest
is charged from April 15, 1998 on the remaining $200.00 to April 2, 2000. -
Manually calculated netted interest should mirror Master File computations.
-
Begin the netting calculation with the earliest refund and continue through
the latest refund when processing subsequent assessments with multiple prior
refunds.
-
-
Input a separate TC 772 for each netted interest amount for each overpayment
that was netted.Exception:
When processing erroneous refunds
with TC 844 (on a module where the interest is not restricted) do not input
TC 772. Master File programming will generate a TC 777 for the ”
netted interest”
amount. -
Input the underpayment interest with a TC 340. DO NOT
include the netted interest amount(s) with the TC 340 amount.
-
Special procedures apply for netted interest related to quick and prompt
assessments on Form 2859. -
If the interest is not restricted for another
reason, take the following steps:-
Calculate the netted interest as shown in 20.2.14.4.3 above, and
-
Enter as TC 190 the sum of the netted interest plus the underpayment interest,
and -
Indicate in the “Remarks”
area of Form 2859 (Request
for Quick or Prompt Assessment) the separate components of the interest.Note:
Master File will generate TC 777 (which should match the netted interest
amount computed and entered on Form 2859) to adjust the TC 190 for the included
amount of netted interest.
-
-
If the interest is restricted, compute netted interest as shown above,
input TC 772 for each netted interest amount, and input TC 340 for the underpayment
interest.
-
Effective January 1993, netting procedures apply to all modules which
contain refunds (with interest) with effective dates January 1, 1987, and
subsequent.Reminder:
Master File is able to perform interest
netting on unrestricted modules. If a module
is not
or
does not
require restriction, DO NOT restrict
the interest with TC 34X, unless there are specific issues on that module
that would prevent Master File from netting. -
Manually calculate “netted interest”
to mirror Master
File computations except in netting situations where debit interest rules
involving interest-free periods override credit interest rules (see Exhibit
20.2.14-2). -
Refer to the following chart for general manual netting procedures,
when the overlapping period involves only one prior refund.If credit interest was Is there an overlapping interest period
Then ALLOWED NO Annual netting does not apply, charge debit interest (see Chapter 5,
Interest on Underpayments).NOT ALLOWED NO Annual netting does not apply, charge debit interest (see Chapter 5,
Interest on Underpayments).ALLOWED YES Annual netting DOES apply: -
Charge netted interest, at the credit rate on the liability (up to the
amount of the refunded overpayment) during the overlapping debit/credit interest
periods(s). -
Charge interest at the underpayment rate on the liability in excess of
the refunded overpayment from the appropriate start date to the interest ending
date, and -
Charge debit interest on the netted underpayment and netted interest amounts
from the 23C date of the refund (see 20.2.14.3.1, Determining the Overlapping
Period, defined for Annual Interest Netting).
-
-
Begin the netting calculation with the earliest refund and continue
through the latest refund when processing subsequent assessments with multiple
prior refunds. -
Input the “netted interest”
amount with a TC 772
for overpayment(s) that were netted.Exception:
When processing
erroneous refunds with TC 844 (on a module where the interest is not restricted)
do not input TC 772. Master File programming will generate a TC 777 for the “netted interest”
amount. -
Input the underpayment interest with a TC 340. DO NOT
include the netted interest TC 772 amount(s) with the TC 340 amount.
-
When making an annual interest netting adjustment due to a subsequent
assessment involving TMT interest:-
During the overlapping period, interest on the tax motivated transaction
is charged at the same credit interest rate that was allowed on the overpayment. -
The amount of tax subject to the annual netting adjustment is limited
to the amount of overpayment on which interest was allowed.
-
-
The 50 percent interest component of a negligence or fraud penalty (asserted
against tax attributable to a tax motivated transaction), is computed at the
120 percent interest rate. After computing the second component to arrive
at the total penalty amount due, interest on the total penalty amount is computed
at the underpayment rate. -
Use the following chart to determine the portion of the total assessment
that would be subject to interest netting procedures.If total assessment is Then during the overlapping period Non-TMT tax Up to the amount of overpayment, charge debit interest at the same
credit rate as allowed on the overpayment.TMT tax If any unnetted overpayment remains, charge debit interest at the same
credit rate as allowed on the overpayment.Note:
Apply annual netting procedures first to interest on the non-TMT
tax adjustment.
-
When refiguring a refund based on a subsequent assessment and it is
determined that credit interest was originally overpaid or underpaid, the
following procedures would apply:If credit interest was originally And the Statute for Then OVERPAID recovery is OPEN Implement erroneous refund procedures. OVERPAID recovery is CLOSED DO NOT implement erroneous refund procedures. UNDERPAID refund is OPEN Reduce the debit interest on the subsequent assessment by the amount
of credit interest that was underpaid.UNDERPAID refund is CLOSED DO NOT reduce the debit interest on the subsequent assessment by the
amount of credit interest that was underpaid.
-
Net Rate Interest Netting is defined in the Internal
Revenue Code 6621(d) as follows: “Elimination of interest on
overlapping periods of tax, overpayments and underpayments. To the extent
that, for any period, interest is payable under subchapter A and allowable
under subchapter B on equivalent underpayments and overpayments by the same
taxpayer of tax imposed by this title, the net rate of interest under this
section on such amounts shall be zero for such period.”
-
Code section 6621(d), added by the IRS Restructuring and Reform Act
of 1998 and modified by the Tax and Trade Relief Extension Act of 1998, provides
for a net interest rate of zero to the extent of overlapping
tax underpayments and tax overpayments. While generally applying to interest
accruing on or after October 1, 1998, section 6621(d) may apply to interest
before that date if some conditions are satisfied. See IRM 20.2.14.6.1.2.Note:
The reference in the provision that the “net rate of
interest shall be zero”
does not mean the IRS will not charge or allow
interest. It means that interest allowed or allowable on the overpayment and
interest paid or payable on the underpayment during the overlapping interest
period will be equalized so that they net to zero. During an overlapping interest
period(s) that occur between one or more tax periods, underpayment interest
may be charged at the overpayment rate
or overpayment interest may be allowed at the underpayment/debit rate. To implement the provision, the Service
will use an interest computation method to “equalize/eliminate
”
the interest differential. This equalization procedure is referred
to as “net rate”
interest netting. -
Section 6621(d) applies to all types of tax. Therefore, taxpayers may
apply the net rate to one type of tax that was charged underpayment interest
based on an overpayment allowed (with interest) for a different type of tax.
For example, a taxpayer may net an overpayment on a Form 941 against an underpayment
on Form 1120 for the same taxpayer. -
The net rate can only be applied based on interest (that has been or
will be) allowed on an overpayment and charged on an underpayment.
The net rate cannot be applied based on an overpayment for the period during
which credit interest is/was not allowed.
-
Revenue Procedure 2000-26 contains interest netting guidance for interest
periods beginning on or after July 22, 1998, (i.e., interest during calendar
quarters October 1, 1998 and later). There is no statutory
requirement that the taxpayer request the IRS to apply IRC section 6621(d).
However, the IRS does not currently have the ability to automatically apply
the net rate of zero. Congress recognized this current limitation and intended
that until such time as procedures are implemented that will allow for the
automatic application of this section, the IRS will recalculate the interest
charges upon the taxpayers request in accordance with this section. -
Revenue Procedure 2000-26 advises taxpayers to file Form 843, Claim
for Refund and Request for Abatement, to ensure they receive the benefit of
interest netting for post-enactment interest periods. The Form 843 is to be
sent to the IRS Service Center where the taxpayer filed its most recent federal
income tax return. -
Post-enactment interest netting claims must be filed on or before the
date on which the last applicable period of limitation closes (either the
underpayment or overpayment period of limitation (see IRM 20.2.14.6.2(3)). -
Claims for post-enactment interest netting will be sent to the taxpayers
Service Center when the request involves solely interest
accruing on or after October 1, 1998. If the request involves interest accruing
prior to October 1, 1998, the claim is to be filed at the Ogden Service Center
according to guidance provided in Revenue Procedure 99-43 (which superseded
Revenue Procedure 99-19). -
Taxpayers who file a claim under Rev. Proc. 99-43 have until the later
period of limitation expires to file:-
Do not have to file separate claims under Rev. Proc. 2000-26 for the portion
of the overlapping period that affects interest accruing on or after October
1, 1998 -
Interest netting will be applied for the entire overlapping period when
processing these claims.
Example:
A taxpayer files a claim to net an overpayment
refunded March 10, 1999 from the tax period ending December 31, 1995 against
an underpayment from tax period ending December 31, 1996 which was paid on
June 8, 2000. Part of the overlapping period occurs before October 1, 1998
and part occurs after that date. Only one claim is needed for this overlapping
period. If the taxpayer later determines that an overpayment from another
period overlaps part of the underpayment interest for December 31, 1996, a
separate claim must be filed for that overlapping period. -
-
Form 843 is not required in connection with a
return(s) under consideration by any function of the Service (including Examination,
Appeals, or a case before a federal court that requires a computation of interest
by any function of the Service). Rather than filing a Form 843, the taxpayer
must provide the contact representative of such function a letter or written
statement that:-
states that the taxpayer is requesting interest netting or the net interest
rate of zero under section 6621(d); -
indicates the type of tax and type of return that affects the interest
computation for the taxable period under consideration; -
states when and for what period(s) the refund or payment (that affects
the interest computation for the taxable period under consideration) was made;
and -
states that, to the extent of equivalent amounts of overpayment or underpayment,
the net rate procedure has not previously been applied to obtain an interest
adjustment under section 6621(d).
-
-
When the taxpayer files a claim and the underpayment period of limitation
is closed, but the overpayment period is open, make the net rate adjustment
to the overpayment period.
-
As part of Restructuring and Reform Act 1998, Rev. Proc. 99-19 was issued
to provide guidance regarding the application of section 6621(d) with respect
to interest. On earlier claims the procedures in Rev. Proc. 99-19 are still
in effect. Rev. Proc. 99-19 was later modified and superseded by Rev. Proc.
99-43. -
Special rules apply to interest periods beginning before July 22, 1998,
(i.e., interest during calendar quarters prior to October 1,
1998). The taxpayer must request the Service apply section 6621(d)
and reasonably identify and establish the periods of underpayment and overpayments
for which the net rate of zero applies. -
For claims involving interest periods prior to October
1, 1998, follow these procedures to determine if a claim is timely filed under
IRC 6621(d):-
Both the underpayment and overpayment period of limitation
must be open on July 22, 1998, allowing the Service to pay additional
overpayment interest and credit or refund underpayment
interest for the tax periods involved with the net rate request. Refer to
IRM 20.2.14.6.2, Applicable Statute of Limitations, for procedures on determining
the applicable period of limitation for the underpayment and overpayment -
The taxpayers claim must be filed on or before December 31, 1999, if both the underpayment and overpayment period of
limitations expired on or before December 31, 1999. -
The six-year Statute of Limitation to refund additional credit interest
on the overpayment year and the two-year Statute of
Limitation to refund on the underpayment year are both open
on July 22, 1998.
-
-
If both applicable periods of limitation were open on July 22, 1998,
and at least one of the applicable periods of limitation
will be open after December 31, 1999, the claim must
be filed on or before the date on which the last applicable period of limitation
closes. A Form 843 is not required when a computation of interest is requested
by a taxpayer in connection with a return(s) of the taxpayer under consideration
by any function of the Service (including Examination, Appeals, or a case
before a federal court that requires a computation of interest). Rather than
filing a Form 843, the taxpayer must furnish a letter or written statement
to such function (see IRM 20.2.14.6.1.1(6)).
-
Section 6511(a) of the Internal Revenue Code (IRC) provides that claims
for credit or refund of underpayment interest must be filed:-
Within three years from the time of the receipt of a timely filed return
(including extensions); or -
Two years from the time the tax (including interest) was paid, whichever
period expires later. -
If no return is filed by the taxpayer, the claim must be filed within
two years from the time the tax was paid.
-
-
If the claim is timely, determine the amount of tax that may be credited
or refunded under IRC 6511(b).-
If a claim is filed during the 3-year period, the amount of credit or
refund shall not exceed the portion of the tax paid within the period immediately
preceding the filing of the claim, equal to 3-years plus the period of any
extension of time for filing the return. -
If the claim is not filed within the 3-year period, the amount of the
credit or refund shall not exceed the portion of the tax paid during the 2-years
immediately preceding the filing of the claim. (On credit OFFSETS, add 2 years
to the cycle date of the offset to determine the applicable 2-year period).
Note:
See IRC section 6511 and IRM 25.6, Statute of Limitations,
for further details. -
-
The 3 or 2-year period of limitations is determined based on the underpayment
that is to be netted. -
The Internal Revenue Code does not provide for a period of limitations
for the allowance and payment of interest on an overpayment of tax. Sections
2401 and 2501 of Title 28 of the United States Code provide a six-year period
in which a suit must be filed for the allowance of additional interest on
an overpayment. -
Section 6621(d) of the Internal Revenue Code – Statute of Limitations.
-
Pre-Enactment Claims: A claim is timely if made no later than December
31, 1999, if all applicable periods of limitation were open on July 22, 1998
but all will be closed on or before December 31, 1999. This rule was amended
by Rev. Proc. 99-43, as follows:
• If all applicable periods of limitation
were open on July 22, 1998, and at least one of the applicable periods will
be open after December 31, 1999, the claim must be filed or a written request
made on or before the date on which the last applicable limitations period
closed. -
Post-Enactment Claims: Claims must be filed on or before the date on which
the last applicable period of limitations closes (either the underpayment
or overpayment period of limitation).
-
-
An adjustment of interest allowable on an overpayment may be allowed
and paid upon request, within the six-year period beginning on the date of
scheduling of the overpayment. Although Form 843 can be used to request additional
overpayment interest, filing Form 843 will not stop the running of the six-year
period (see Rev. Proc. 2000-26). If the claim is received within the six year
period the claim can be allowed after the six-year period.
The IRS should caution the taxpayer that the only manner, in which a taxpayer
can fully protect the right to an adjustment, is to file suit within the six-year
period. -
When a net rate adjustment is to be made to an underpayment based on
an overpayment that was offset with credit interest, use the cycle date (not
transaction date) of the credit transfer to determine the six-year period
for timely filing of a claim for refund of additional interest. -
When a net rate adjustment is to be made and the underpayment period
of limitations is closed, but the overpayment period is open, make the net
rate adjustment to the overpayment period. -
Refer to Exhibit 20.2.14-19 which provides additional information on
Statute Highlights for Net Rate Claims.
-
Refer to Exhibit 20.2.14–14, Net Rate Claim Processing Flowchart.
-
The net rate can only be applied based on interest (that has been or
will be) allowed on an overpayment and charged on an underpayment. The net
rate cannot be applied based on an overpayment for the period during which
credit interest is/was not allowed (e.g., 45-day interest-free rule, 9-day
or 13-day back-off). -
To apply the net rate during an overlapping period where underpayment
and overpayment interest was/will be charged and allowed:-
Determine the overpayment and underpayment interest computation periods
for the tax years where interest has already been or will be charged/allowed. -
Compare the interest computation periods to each other to determine when the overlapping interest period(s) occurs. Prepare a
time line or ACT Report 530, Adjustment/Positions, to “visually
”
determine when the overlapping interest period(s) occur. Refer to
Exhibit 20.2.14-18 for specific information related to preparing a time line.
Example:
The Athens Corporation agrees to a 2000
Form 1120 tax underpayment of $150,000.00 and paid the tax plus interest on
February 20, 2005. On March 21, 2005, a $79,000.00 refund with interest was
issued on the taxpayers 2003 Form 1120 return. On August 1, 2005, Athens
Corporation files a claim requesting that the net rate be applied to the underpayment
interest paid on its 2000 Form 1120 based on the 2003 overpayment that was
issued with interest.DETERMINE THE OVERPAYMENT
AND UNDERPAYMENT INTEREST COMPUTATION PERIODS.-
Debit interest on the tax year 2000 Form 1120 tax underpayment of $150,000.00
was charged as follows:
1. From: 03152001 (return due date)
2. To: 02202005
(payment date)
-
Credit interest on the tax year 2003 Form 1120 overpayment of $79,000.00
was allowed as follows:
1. From: 03152004 (return due date)
2. To: 03122005
(refund schedule date less 9-days back-off period)
-
The net rate adjustment for this example will be made to the underpayment
period.
Note:
When determining the overlapping period,
always use the credit interest back-off date as the
ending date for the credit interest computation period. Using the back-off
date provides the actual time frame during which credit interest was allowed
on the overpayment.THE TIME LINE OR ACT
REPORT 530 CAN BE USED TO VISUALLY COMPARE AND DETERMINE WHEN THE INTEREST
COMPUTATION PERIODS “OVERLAP.”
-
-
See Exhibit 20.2.14-18 for additional information on preparing a time
line or ACT Report 530.
-
After determining the overlapping period(s), to apply the net rate you
must also determine the interest rate to be “charged”
or “allowed”
during the overlapping “net rate”
period. -
The interest rate originally charged or allowed on the underpayment
and overpayment can be determined from reviewing the original interest computation. -
In the process of working a net rate case, if the documentation to support
previously computed underpayment or overpayment interest is not readily available
(attached to return or in the administrative file), all avenues must be used
to locate the required documentation, such as:-
Ordering applicable DLNs.
-
Calling the office(s)/employee(s) who may have had the case in the past,
to determine if an “office file”
(e.g., Audit reports/Form
4549CG, Form 2285, ACT reports, etc.) is available. -
Contacting the examining official and request that they contact the taxpayer
directly for any documents the taxpayer may have (such as information above)
that would assist in completing the net rate case.
If the tax examiner is still unable to locate the documentation
and cannot “back into”
the previous interest amount, make
the adjustment using all available information and thoroughly
document all actions taken. In some situations, due to a source document
being unavailable, it may be necessary to verify the interest computation
by backing into the original calculation. -
-
When applying the net rate to the underpayment period and credit interest
on the overpayment was not correct, make the net rate adjustment based on
the credit interest the taxpayer should have been allowed.IF THEN Making the net rate adjustment to the underpayment interest and the
overpayment interest is recoverable.Compute the correct credit interest; follow erroneous refund procedures
to recover the overpaid interest. Perform the net rate adjustment using the
corrected overpayment interest calculation.Making the net rate adjustment to the underpayment interest and the
overpayment interest is not recoverable.Compute the correct credit interest; do not follow
erroneous refund procedures. Perform the net rate adjustment using the corrected
overpayment calculation. Do not adjust the overpayment interest.Making the net rate adjustment on the overpayment and the underpayment
interest is not correct.Perform the net rate adjustment based on the correct amount of underpayment
interest. -
GATT credit interest computations made prior to January 1, 1999, are
to be recomputed in the same manner as originally allowed. However, if an
error was made in the overpayment interest computation originally allowed,
make the net rate adjustment based on the interest that should have been allowed
(using the same GATT computation methodology).Example:
First Technology Inc. was issued an overpayment of $23,710.00 on July 25,
1998. Credit interest was allowed using the original GATT processing procedures
that provided that all credit interest accruals through December 31, 1994
would continue to accrue at the prevailing higher credit interest rate. However,
an error was made in the interest computation. The credit interest computation
must be recomputed, correcting the error (using the original procedures) to
ensure the taxpayer is allowed the net rate based on the credit interest that
should have been allowed on the overpayment. -
When preparing the time line, in addition to the computation period
dates, also enter the date for which interest begins at a different rate/effective
date (i.e., corporate interest applicable date or GATT rate effective date). -
“Charge”
or “allow”
interest
during the overlapping period as follows:If Then, During the Overlapping Period The net rate is applied to the underpayment period. Charge interest on the underpayment at the same credit rate as allowed
on the overpayment. Up to the amount of overpayment available for netting.The net rate is applied to the overpayment period. Allow interest on the overpayment at the same debit rate as charged
on the underpayment. Up to the amount of underpayment available for netting. -
When a net rate adjustment has been made to an underpayment period,
underpayment interest is computed with interest being “charged
”
at the lower overpayment rate during the overlapping period.-
For underpayment interest that has been paid, the abated debit interest
that will be refunded or offset is allowed credit interest (if applicable).
Credit interest (as appropriate) is allowed on the abated debit interest amount,
from the credit availability date to the refund schedule date or liability
due date (if offset). This overpayment interest period “creates
”
a new overpayment and interest period that may be used to apply the
net rate against another underpayment period that overlaps this interest computation
time frame.
-
-
For underpayment interest that has yet to be assessed:
-
Compute the interest to be assessed without considering
the net rate adjustment. Retain a copy of the pre-netting computations for
the case file. After arriving at the interest due, then apply the net rate. -
If the ASED is imminent, it may be necessary to post a TC 34X for the
pre-netting interest amount with the tax assessment. -
Input a TC 34X for the net rate interest adjustment to reflect the increase/decrease
to the interest previously posted. Adjust overpayment interest as appropriate
with a TC 77X. -
Monitor the adjustments to ensure correct posting to Master File.
-
-
When a net rate adjustment is made against an overpayment, interest
is allowed at the same debit rate that was charged on the underpayment during
the overlapping period. The interest allowed on the resulting overpayment
(that is created by the net rate adjustment) would also create a new overpayment
and credit interest period that may be used to apply the net rate against
another underpayment period.
-
The amount of the overpayment or underpayment subject to the net rate
interest computation is determined as follows:If Then, During the Overlapping Period The underpayment interest is adjusted interest is, “charged at the credit rate”
on the
underpayment amount that is “equal”
to the overpayment
amount.The overpayment interest is adjusted interest is “allowed at the debit rate”
on the
overpayment amount “equal”
to the underpayment amount. -
The legislative history of section 6621(c) does not provide a basis
for excluding Tax Motivated Transaction (TMT) interest from netting under
section 6621(d) on the grounds that the 120 percent interest rate is a penalty. -
When making a net rate adjustment due to an assessment involving 120
percent (TMT) interest:-
During the overlapping period, interest on the tax motivated transaction
is charged at the same credit interest rate that was allowed on the refunded/offset
overpayment. -
For net rate purposes, apply the net rate to interest on any non-TMT tax
before applying the procedure to TMT tax. See IRM 20.2.6.7.1 for Payment Allocation
information.
-
-
If a net rate adjustment is made to TMT tax and the 50 percent interest
component of the negligence or fraud penalty was computed at the 120 percent
rate, the second component of the penalty must also be adjusted. The second
component of the penalty is computed at 50 percent of the interest due on
the tax motivated adjustment and must be adjusted if the net rate is applied
in this situation.
-
To accurately determine the net rate underpayment interest adjustment:
-
Determine the overpayment amount that is equal to the underpayment as
of the beginning of the overlapping period.
-
-
The following example illustrates how to apply the net rate when the
underpayment interest starts before interest begins
to accrue on the overpayment.Example:
Hunter Corporation
filed a 1995 Form 1120X and fully paid the underpayment of $53,000.00 plus
interest of $14,065.08 on December 3, 1998. On June 2, 1998, Hunter Corp.
filed a Form 1120X claiming an overpayment of $32,000.00 from its 1996 tax
return, which was refunded with interest on September 17, 1998.Figure 20.2.14-9
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Overlapping Period Time Line
-
Debit interest begins on 03151996, which is prior to
the date interest begins on the overpayment and the
beginning of the overlapping period of 03151997. -
Since credit interest has not yet accrued on the overpayment amount as
of the beginning of the overlapping period, the amount
of the underpayment subject to the net rate (at the beginning
of the overlapping period) equals only the principal overpayment amount
of $32,000.00.
-
-
Interest on the underpayment is computed as follows:
-
Underpayment interest at the normal debit rate is computed from 03151996
to 03151997 to determine the balance due as of the beginning of the overlapping
period. -
When the underpayment amount is greater than the overpayment amount (as
of the beginning of the overlapping period), separate the amount of underpayment
subject to the net rate from the underpayment amount charged interest at the
prevailing debit rate.Note:
The separation is performed automatically by
the ACT software.
Interest Computation Breakdown
$53,000.00 03151996 to 03151997 (normal debit rate ) = 4,835.28 4,835.28 Add accrued interest at the normal debit rate. 57,835.28 Underpayment balance on 03151997 (32,000.00) Subtract the amount of underpayment equal to the available overpayment
on 03151997 (beginning of the overlapping period) which will accrue debit
interest at the net (credit) rate from 03151997 to 09081998 (refund schedule
date of 09171998 less 9-days back-off period).25,835.28 Equals the underpayment amount that will continue to accrue interest
at the debit rate from 03151997 to 12031998.4,123.00 Add accrued interest at the normal debit rate $29,958.28 Balance due on 12031998 Net Rate Interest Computation
$32,000.00 03151997 to 09081998 (net rate period) 3,334.16 Add accrued debit interest at the credit rate 35,334.16 Balance due on 09081998 672.27 Add accrued debit interest at the normal rate from 09081998 to 12031998 $36,006.43 Balance due on 12031998 Interest previously assessed $14,065.08 Total interest with netting 12,964.71 Net Rate Adjustment/Netting Benefit (TC 341) (1,100.37) Reminder:
Allow credit interest (as
appropriate) on the net rate adjustment amount that will be refunded or offset.
-
-
The next example illustrates how to apply the net rate when the underpayment
interest computation and the beginning of the overlapping period start after
interest begins to accrue on the overpayment.Example:
Stetson
Corporation received a refund of an overpayment in the amount of $9,200.00
plus $1,880.11 in interest on August 18, 1998 from its 1995 Form 1120. On
November 21, 1998, Stetson Corporation also signed an agreement for a 1996
Form 1120 tax underpayment of $27,000.00. They have requested a net rate adjustment
on the 1996 return.Figure 20.2.14-10
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Overlapping Period Time Line
-
Overpayment interest begins on 03151996, which is prior to the date interest
begins on the underpayment and the beginning of the overlapping period of
03151997. -
Since credit interest begins accruing prior to the date interest starts
on the underpayment, the amount of underpayment subject to the net rate equals
the available overpayment amount of $9,200.00 plus the
credit interest of $739.68 that has accrued to 03151997 (the beginning of
the overlapping period).
Interest Computation Breakdown Prior to the Overlapping Period
$9,200.00 03151996 to 03151997 (credit) = 739.68 739.68 Add accrued interest at the credit rate 9,939.68 Available overpayment amount that is equal to the underpayment that
will be charged interest at the net (credit) rate as of the beginning of the
overlapping period. -
-
Interest on the underpayment is computed as follows:
Interest Computation Breakdown on the Unnetted Portion
$27.000.00 Underpayment due 03151997 9,939.68 Subtract the amount of underpayment equal to the available overpayment
on 03151997 (beginning of the overlapping period) which will accrue debit
interest at the net (credit) rate from 03151997 to 08091998 (refund schedule
date of 08181998, less 9-days back-off).17,060.32 Equals the underpayment amount that will accrue debit interest at the
prevailing rate from 03151997 to 12211998.2,800.81 Add accrued interest at the prevailing debit rate 19,861.13 Balance due on unnetted portion to 12211998 (870 waiver + 30-Days) Net Rate Interest Computation
$9,939.68 03151997 to 08091998 (net rate period) 1,140.43 Add accrued debit interest at the credit rate 11,080.11 Balance due that continues to accrue debit interest at the prevailing
rate from 08091998 to the 12211998 interest ending date.330.21 Add accrued debit interest at the prevailing rate $11,410.32 Balance due on the netted portion to 12211998 (870 waiver + 30-Days) Total Interest Due with Netting $4,271.45 (2,800.81 + 1,140.43 + 330.21) Interest Previously Assessed .00 Net Rate Adjustment (TC 340) $4,217.45 -
When a net rate adjustment is made to an underpayment year (for which
payments/credits had previously been made), applying the net rate causes the
balance due to decrease. Since the former balance due is decreased, this results
in a lesser amount of the previous payments/credits being needed to pay the
revised balance due. These “excess”
payments/credits are
now available for refunding or offset to another years tax liability. The
resulting refund or offset may be available to apply to a future net rate
adjustment.
-
Net rate adjustments are generally made to the underpayment period.
When the taxpayer files a claim/request and the underpayment period of limitations
is expired, the net rate adjustment is made to the overpayment period. However,
the six-year period for refunding of overpayment interest must be open. -
Applying the net rate to an overpayment period follows the same methodology
as applicable to an underpayment period. The net rate is applied by allowing
overpayment interest at the debit rate on the amount of the overpayment that
is equal to the underpayment (plus accrued interest, as applicable) as of
the beginning of the overlapping period. -
The example below illustrates how to apply the net rate to the overpayment
period when the statute on the underpayment period has expired, however, the
overpayment is open (within the six-year period).Example:
Hunter Corporation filed a 1995 Form 1120X and fully paid the underpayment
of $53,000.00 plus interest of $14,065.08 on December 3, 1998. On June 2,
1998, Hunter Corporation filed a Form 1120X claiming an overpayment of $32,000.00
from its 1996 tax return, which was refunded with interest on September 17,
1998. The taxpayer filed a net rate claim on December 31, 2000.Figure 20.2.14-11
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Overlapping Period Time Line
-
Interest on the overpayment is computed as follows:
Since the
statute on the underpayment period has expired, credit interest will be computed
at the underpayment interest rate during the overlapping period. The overpayment
that was created during the overlapping period will continue to accrue credit
interest at the prevailing rate to the refund schedule (23C) date, less the
9-days back-off.Net Rate Interest Computation
$32,000.00 03151997 to 09081998 (net rate period) 4,414.00 Add credit interest at the debit interest rate 36,414.00 Available credit on 09081998 35,334.16 Amount refunded on 09081998 1,079.84 Available credit @ 09081998 (Netting benefit) 370.20 Add accrued credit interest at the prevailing rate to 03152003 (current
23C date, less the 9-day back-off.)$1,450.04 Amount of refund @ 03152003 (TC 770) Reminder:
Ensure credit interest
(as appropriate) is to be allowed on the net rate adjustment amount that will
be refunded or offset.
-
When a net rate computation is made during an overlapping period, the
amount of overpayment or underpayment may not always be completely used for
that period. The part of an interest computation period and the amount of
overpayment/underpayment that is not used to make a
net rate adjustment is considered the “unused
”
portion.-
If another tax year’s interest computation period overlaps with
a remaining “unused”
period and
amount, a net rate adjustment may be made to the underpayment and/or overpayment
interest based on that remaining unused period and amount.
Reminder:
Consideration must still be given to
whether the statute of limitations remains open for the unused period and
amount to allow another net rate adjustment. -
-
For the tax year that the net rate adjustment is applied, if the net
rate was not applied during any part of the overlapping
interest computation period, the time frame and amount that was not netted,
is considered an “unnetted”
underpayment/overpayment
period and amount. An unnetted period/amount can also occur outside of the
overlapping interest computation period (i.e., when an underpayment/overpayment
accrues interest before the overlapping period, netting does not occur during
that time frame, so an unnetted period and amount exists). -
If there is an overlapping interest period(s) against which the net
rate has not been applied, the unused overpayment period
can be applied to, or created by, one tax period multiple times. -
When the net rate is applied to debit interest that bas been paid, credit
interest is allowed on the refunded debit interest amount from the credit
availability date to the refund schedule date or liability due date (if offset).
This credit interest period creates an overpayment period that may be used
to apply the net rate against another underpayment period. -
The time line in Figure 20.2.14-12, illustrates that the credit interest
period (from 03151997 to 01011998) was not completely used. Only part of the
computation period was used for the net rate adjustment, from 03151997 to
07071997. The part of the overpayment computation period not used for the
net rate adjustment runs from 07071997 to 01011998. This time frame is the “unused”
overpayment computation period.-
If a subsequent adjustment occurs for another tax year and the underpayment
interest computation period overlaps with this remaining “unused
”
overpayment period, a net rate adjustment may be made during this
unused time frame. -
In addition to reflecting the unused computation period, the amount of
overpayment/underpayment available for use for another net rate adjustment
must also be determined. This amount is shown in the interest computation
source documents. Refer to Exhibit 20.2.14-18, which outlines requirements
for information to be shown on the time line and/or source documents.
Figure 20.2.14-12
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Overlapping Period Time Line
-
-
To determine the unused amount that is available for use for a future
net rate adjustment, identify the amount of overpayment or underpayment at
the beginning of the unused period that was not used for the net rate adjustment
as follows:-
As of the end of the overlapping period (which is the beginning of the
unused period when an unused amount and period exists), determine the total overpayment/underpayment amount plus
accrued interest that is available for netting during the overlapping
period. -
Subtract from this amount, the overpayment/underpayment
plus accrued interest that was used for the net
rate adjustment.
-
The difference represents the balance of overpayment/underpayment plus accrued interest that was not used for
the net rate adjustment. This is the amount of unused overpayment/underpayment plus accrued interest that is available for another net rate
adjustment.
-
-
The time line illustrates that the net rate was not applied on the underpayment
from 03151996 to 03151997. Therefore, 03151996 to 03151997 represents the“unnetted”
underpayment period. The unnetted
amount represents the underpayment of $175,000 as of the beginning of this
unnetted period. If another overpayment overlaps this unnetted period, the
net rate can be applied to the $175,000 from 03151996 to 03151997. -
Refer to the following Exhibits for additional information:
-
Exhibit 20.2.14-6 Special Net Rate Interest Computations – More
than One Overpayment Period. -
Exhibit 20.2.14-7 Special Net Rate Interest Computations – Overlapping
Period Completely Used. -
Exhibit 20.2.14-9 Net Rate Interest Computation – Later Assessment
Interest Period Overlaps a Previously Unused Overpayment Period.
-
-
There will be occasions where multiple tax periods are involved in a
net rate adjustment that can result in more than one overlapping/net rate
period. -
There can be multiple overlapping periods that may not be used in making
a net rate interest adjustment.Note:
An overlapping period may not be used
to the extent it involves an overpayment that was issued without interest.Example:
On August 10, 1998, Garfield Incorporated
files an informal claim requesting that the net rate be applied to Form 1120
for the taxable year 199309. On September 23, 1996, Garfield Inc. agreed to
and fully paid an underpayment of $97,000.00 determined for its 199309 Form
1120. A $27,000.00 overpayment was allowed for Garfield Inc.’s Form
1120 for the tax year 199409, due to an amended return. A refund with interest
was issued on October 15, 1995. On April 3, 1997, an audit of the taxpayer’s
Form 941 for the fourth quarter of 1994 determined an overpayment of $5,000.00
that was refunded with interest on August 22, 1997. See Figure 20.2.14-13,
Overlapping Period Time Line.Figure 20.2.14-13
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Overlapping Period Time Line
-
199309 Form 1120 underpayment period is from 12151993 to 09231996 (normal
corporate rate). -
199409 Form 1120 overpayment period is from 12151994 to 10061995 (normal
and GATT rate). -
199412 Form 941 overpayment period is 01311995 to 06291997 (corporate
overpayment rate). -
First overlapping period is 12151994 to 10061995.
-
Second overlapping period is 01311995 to 09231996.
-
Unused overpayment period remains from 09231996 to 06291997 based on the
199412 Form 941 overpayment. -
Unnetted debit period remains from 12151993 to 12151994 based on the 199309
Form 1120 underpayment.
-
-
Whenever possible (except as stated in 20.2.14.6.8 (3)), offset a credit
against a liability to avoid creating an overlapping interest period. When
an underpayment and an overpayment are processed concurrently, offsets will
take place systemically if no restrictions exist on the modules involved with
the offset. If Master File restrictions do not allow systemic offset, the
offset must be made manually. -
Refer to Exhibit 20.2.14-3 Offset Methodology Examples to illustrate
the impact of the offset process on the net rate provision. -
To the extent that an underpayment has been partially or fully paid,
the liability is not considered to be “outstanding”
for
purposes of offsetting an overpayment with an earlier availability date. If
the advance payment constitutes a deposit, see Service Center Advice SCA 1998-002.Example:
A TC 640 is posted to a 199812 Form 1120 underpayment
module on 08262001 (the payment could also be posted with other transaction
codes (TC), such as 670, 680, 706, etc.). An overpayment of timely credit
from 200012 later becomes available, and is for an amount greater than the
remaining balance due on 199812. The amount offset from 200012 to 199812 should
only be sufficient to fully satisfy the outstanding portion of the 199812
liability. Do not offset excess credit on 03152001 that will cause a refund
of all or part of the TC 640. The remaining 200012 overpayment may then be
refunded with interest from 200012.Note:
The limitation on the amount
offset creates an overlapping period between 03152001 and 08262001. There
is no authority to increase the offset amount to avoid the interest rate differential.
-
The following information is available on IDRS to identify a module
affected by net rate netting:-
A TC 34X with a correspondence date of 07221998 (the enactment date of
IRC 6621(d)). This date will appear only if the adjustment was input using
IDRS command code ADJ54; it is not input with ADJ47. -
A control base closed with the activity code “netrate”
and/or
control category INTC. -
The Net Rate “N”
information, described later in this
section, input via ADJ54.
Caution:
The above information may not be present
on all affected modules. Regardless of the information that appears on IDRS,
the net rate source document(s) must be secured before proceeding with a subsequent
adjustment. -
-
The complexity of net rate adjustments requires extensive documentation
of the facts used to make the computation. In addition, all interest computations
described in IRM 20.2.14.6.10 should be included with the workpapers for each tax period involved with the net rate request. The relevant
ACT computation reports and the information they contain that is specific
to net rate netting are described as follows:-
ACT Report 020 Principal and Interest Adj. Summary. The “Computed Individual Modules”
section of the ACT Report 020
summarizes the results of all modules without net rate netting
, while “Computed Modules with Netting”
, shows
the modules after netting has taken place. The “Deficiency Interest”
, “Overpayment Interest”
and “Principal”
columns correspond to the “Adjustment
”
columns in the final sections of the pre and postnetting Reports 490. The “Netting Benefit
”
that appears in the lower right hand corner of the ACT Report 020
is the difference between the “Total”
columns in the top
and bottom sections of the report. -
ACT Report 490 Activity Summary. This report header
does not differ from the non-netting report; however, the module’s underpay/overpay
status (open, use, or closed) in the upper right hand corner is significant
for net rate netting purposes. When Report 490 is created based on net rate
interest netting, it will differ from a single module report because of the
transactions added as result of the netting adjustment(s). The netting transactions,
numbered in the 1500 and 1600 series, are unique numbers to the ACT program
and do not correspond to any actual transaction codes found on IDRS transcripts.
The first section of the report will show all the transaction numbers with
their descriptions, while the second section of the report will show how the
transactions were utilized in the net rate computation. The transaction numbers
themselves will not be displayed in the second section, but their affect upon
the computation will appear with the letters “NR”
for
net rate (e.g. NR underpay @ GATT, NR overpay @ underpay, etc.), and correspond
to the overlapping periods and amounts on the Report 530. The third and final
section on this report shows the total overpayment and underpayment interest,
with “Adjustment”
column figures that correspond to the
amounts of the second section of the Report 020. -
ACT Report 530 Adjustments/Positions. This report
is used to show the Net Rate “N”
information (see Exhibits
20.2.14-6, Exhibit 20.2.14-7, and Exhibit 20.2.14-18). The Report 530 shows
unused and unnetted periods and amounts.
-
-
The “N”
information consists of:-
“N-Amt/Net Rate Amount”
–
provides the amount of overpayment or underpayment that the net rate was applied
to. The same “N-Amt”
information is shown for
each year involved with the net rate adjustment. -
“N-Beg/Beginning Overlapping Period”
-
provides the beginning date of the overlapping interest period used in the
net rate computation. The same “N-Beg”
information is
shown on the year that caused the net rate adjustment to be made (usually
the overpayment year) and the year on which the net rate adjustment was made. -
“N-End/Ending Overlapping Period”
-
provides the ending date of the overlapping interest period used in the net
rate computation. The same “N-End”
information is shown
on the year that caused the net rate adjustment to be made (usually the overpayment
year) and the year on which the net rate adjustment was made. -
“N-MFT/Net Rate MFT”
–
provides the Master File Tax Class Code for the return to which the net rate
was applied and the return that caused the net rate
adjustment. On the return to which the net rate adjustment was made, the MFT
Code is the return that caused the net rate adjustment to be made. On the
return that caused the net rate adjustment, the MFT Code is the return to
which the net rate adjustment was made. -
“N-Per/Net Rate Tax Period”
-
provides the tax period for the return to which the net rate adjustment was
made and the tax period of the return that caused the
net rate adjustment. For the return to which the net rate adjustment was made,
enter the “N-Per”
for the return that caused the net rate
adjustment to be made. For the return that caused the net rate adjustment
to be made, enter the “N-Per”
is the return to which the
net rate was applied.
-
-
Specific actions must be taken to post the required adjustment(s) to all tax modules involved with the net rate request.
-
When processing a net rate claim for abatement or refund and no current
tax adjustment activity exists, post the adjustment as follows:
REQ54
-
BLK – Use BLK 00 with controlling DLN. Without controlling DLN,
use BLK 18. If the account has an open AIMS base, use BLK 05 or 15. -
TC 34X – Debit Interest Adjustment (TC 340 for “zero
”
is required if no decrease/increase is applicable). See note below. -
Debit-Int-To-DT – Input date debit interest is computed to (RDD
is used if no interest exists on that year). -
TC 770 – Credit Interest Adjustment (input is not required if interest
adjustment amount is zero). TC 772 can be input as long as the account will
be in a balance due after posting. If the account will be overpaid after the
TC 772 posts, consider IRM 20.2.14.6.10(4). -
Credit-Int-To-DT – Date credit interest is computed to (input is
not needed if amount is zero or if TC 772 is input). -
Correspondence DT – 07221998 (IRC 6621(d) enactment date).
-
AMD-CLMS-DT – Received date of the claim.
-
Activity CD – netrate.
-
Hold CD – 3 (Do not allow a generated notice to be issued to the
taxpayer. Send the taxpayer the appropriate letter). -
Attach any relevant information pertaining to the claim.
-
Attach all appropriate documentation to the adjustment (see IRM 20.2.14.6.10(6)).
Note:
Even when the net rate adjustment is made to
the underpayment year, it is necessary to input a TC 340 with a ”
zero”
amount on all overpayment years involved with the net rate adjustment(s).
This action is required to identify all overpayment periods included in the
current net rate adjustment so that used, overlapping periods may not be used
again in a subsequent netting adjustment. If a year requested in the claim
is unused because of no overlapping periods, input a TC 290 for ”
zero”
with Blocking Series 18, to properly identify the account. -
-
For tax periods in which current tax adjustment activity exists, there
are two types of input formats to consider. Enter the adjustments based on
the input format your area uses. A two-step process is required to allow for
a notice of adjustment to be issued that does not contain a correspondence
date of July 22, 1998.-
For non-Examination or non-Appeals
related tax adjustments:
Step 1:
Input the following
information using CC REQ54:-
BLK – Use BLK 00 with controlling DLN. Without controlling DLN, use BLK
18. If the account has an open AIMS base, use BLK 05 or 15. -
TC 29X – Tax Adjustment.
-
TC 34X – Debit Interest Adjustment (TC 340 for “zero
”
is required if no interest decrease/increase is applicable. See note
below). -
Debit-Int-To-DT – Input date debit interest is computed to (RDD
if no interest exists on that year). -
TC 770 – Credit Interest Adjustment (input is not required if interest
adjustment amount is zero). A TC 772 can be input if the account will be in
a balance due after posting. If the account will be overpaid after the TC
772 posts, follow procedures in IRM 20.2.14.6.10(4). -
Credit-Int-To-DT – Date credit interest is computed to (input is
not required if amount is zero or if TC 772 is input). -
Correspondence DT – Date of the correspondence.
-
AMD-CLMS-DT – Received date of the claim.
-
If the tax adjustment is an increase of $100.000 or more,
do not use a hold code to suppress the adjustment notice. -
Attach any relevant information pertaining to the claim.
-
Attach all appropriate documentation to the adjustment (see IRM 20.2.14.6.10(6)).
Step 2:
Use CC REQ54
and post delay one cycle the following information:-
BLK – 05 or 15.
-
TC 340 for “zero”
. -
Debit-Int-To-DT – Input the same debit interest date used in step
1 above (RDD is used if no interest exists on that year). -
Correspondence DT – 07221998 (IRC 6621(d)) enactment date).
-
AMD-CLMS-DT – Claim received date.
-
Activity CD – netrate
-
Hold CD – 3
-
PSTNG-DLAY-CD – 1
-
Notate in “Remarks”
“that the interest
computations are attached to the previous interest adjustment made one cycle
earlier”
.
Note:
Even when the net rate adjustment is made to the underpayment
year, it is necessary to input a TC 340 with a “zero”
amount
on all overpayment years involved with the net rate adjustment(s). This action
is required to identify all overpayment periods included in the current net
rate adjustment so that used overlapping periods may not be used again in
a subsequent net rate adjustment. If a year requested in the claim is unused
because of no overlapping periods, input a TC 290 for “zero
”
with Blocking Series 18, to properly identify the account. -
-
For Examination or Appeals related adjustments,
a two-step process is required.
Step 1:
Input
the following information on the appropriate adjustment Form 5344 or Form
5403 and submit for processing:-
TC 30X – Tax Adjustment.
-
TC 34X – Debit Interest Adjustment (TC 340 for “zero
”
is required if no interest decrease/increase is applicable. See note
below). -
Debit-Int-To-DT – Input date debit interest is computed to (RDD
is used if no interest exists on that year). -
TC 770 – Credit Interest Adjustment (input is not required if interest
adjustment amount is zero). A TC 772 can be input if the account will be in
a balance due after posting. If the account will be overpaid after the TC
772 posts, consider IRM 20.2.14.6.10(4). -
Credit-Int-To-DT – Date credit interest is computed to (input is
not needed if the interest adjustment amount is zero or if TC 772 is input). -
If the tax adjustment is an increase of $100,000 or more,
do not use a hold code to suppress the adjustment notice. -
Any and all other pertinent or required entries per IRM 4.4, AIMS/Processing
Handbook and IRM 2.8, Audit Information Management System (AIMS) etc. -
Attach all appropriate documentation to the adjustment (see IRM 20.2.14.6.10(6)).
Step 2:
Use CC REQ54 and post delay one cycle the following information:-
BLK – 05 or 15.
-
TC 340 for “zero”
. -
Debit-Int-To-DT – Input the same debit interest date used in step
one above (RDD is used if no interest exists on that year). -
Correspondence DT – 07221998 (IRC 6621(d) enactment date).
-
AMD-CLMS-DT – Claim received date if applicable.
-
Activity CD – netrate.
-
Hold CD – 3.
-
PSTNG-DLAY-CD – 1.
-
Notate in “Remarks”
that the “interest
computations are attached to the previous interest adjustment entered one
cycle earlier”
.
Note:
Even when the net rate adjustment is made to the underpayment
year, it is necessary to input a TC 340 with a “zero”
amount
on all overpayment years involved with the net rate adjustment(s). This action
is required to identify all overpayment periods included in the current net
rate adjustment so that used overlapping periods may not be used again in
a subsequent net rate adjustment. If a year requested in the claim is unused
because of no overlapping periods, input a TC 290 for “zero
”
with Blocking Series 18, to properly identify the account. -
-
Master File does not recognize a TC 772 as a total consideration of
all credit interest (i.e. a credit interest combination adjustment which may
include netted or additional allowable interest etc.), and as a result, if
the tax period has an overpayment at the time of posting, it will calculate
credit interest again, post an erroneous TC 776 amount, and issue a refund
with too much interest. To avoid this, it is necessary to cycle the adjustment
into two parts. The first part will be to calculate your computation to the
23C date of the following cycle, post the necessary adjustments including
the TC 772 to the current cycle using a hold code to prevent Master File from
posting a TC 776 and releasing the credit. The second part is to cycle delay
one week (to match the interest to date) and input a TC 340 for ”
zero”
and TC 770 for “zero”
to release the credit
for refund. Be sure to use a hold code that only holds the notice.Note:
Unlike a TC 772, Master File recognizes a TC 770 as current total computation
of credit interest and will not post a TC 776. -
Transaction code TC 971 action code 355 is used to readily identify
BMF modules affected by net rate interest netting computations (Master File
programming does not allow input of this information for IMF modules). If
a tax period included with the claim is unused due to no overlapping periods,
input of TC 971 AC 355 is not necessary. The latest tax period adjusted is
cross-referenced by the input of TC 971 AC 355 using CC REQ77 on all other
modules (see exception below for cases involving multiple TINs). Referencing
the latest tax period adjusted will identify where the complete copy of the
case file is located.The following information is required for
input on all but the tax period where the case file is to be located:-
TC> 971
-
TRANS-DT> The received date of the claim.
-
TC971/151-CD> 355
-
XREF-TIN> The EIN where the case file is to be located.
-
XREF-TX-PRD> The tax period where the case file is to be located.
-
XREF-MFT> The MFT where the case file is to be located.
-
The literal “NET-RATE”
is automatically moved into
the MISC field.
On the tax period where the complete copy
of the case file is to be located, input separate Transaction Codes 971-355
to cross-reference each module for every EIN and tax period involved in the
claim.Exception:
When multiple TINs are involved, the case
file should be associated with the latest tax period adjusted for the parent
corporation or surviving entity. -
-
In addition to the actions described above, ensure the following information
is part of the source documents sent with all but the last tax year involved
with the net rate adjustment. (Refer to Exhibit 20.2.14-17, Net Rate Claim
Processing, which provides additional documentation requirements). The latest
tax period adjusted should be cross-referenced with TC 971-355. (See the TC
971-355 procedures above, including the exception for multiple TIN cases.)-
A copy of the written request or claim Form 843. (The original is to be
attached to the last year of the adjustment.) -
ACT Report 490 (post-netting). Only the tax year
in which the adjustment pertains. -
A copy of the appropriate Power-of-Attorney form.
-
A copy of the current allow/partial allowance letter from the IRS. The
taxpayers copy of the letter must include copies of ACT reports
020, 490, and 530 for all tax periods involved. -
Any re-file documents that you have in your possession.
In addition to the attachments described above, the last year of
adjustment must include the following information: -
ACT Report 490 (pre and post-netting) and ACT Report 530 (post-netting), as well as all interest computations made
by the taxpayer, for all tax periods involved. -
ACT Report 020.
-
Any pertinent correspondence and information from the taxpayer or the
representative. -
Any personal notes or observations pertaining to the claim that would
be helpful to the next tax examiner who may have to update the interest or
process a subsequent adjustment on the account.
Note:
These are in addition to any normal attachments
required in the work process, regardless of the area working the account.Exception:
If a claim includes adjustments to both
Form 94X and Form 1120 accounts, the attachments for the last year of the
adjustment should be associated with the most recent tax year Form 1120 account.
This is because the retention period for Forms 1120 is much longer than for
Forms 94X. (e.g. A net rate claim is filed that results in adjustments to
Forms 1120 accounts for tax periods ending December 31, 1997 through December
31, 2000, and a Form 941 account for the period that ends March 31, 2003.
Although the Form 941 is the last year of adjustment, the attachments will
be associated with the Form 1120 account for the tax period ending December
31, 2000.) -
-
When a net rate adjustment has previously been made and only part of
the overpayment period was used, you must be aware of the available overpayment
/underpayment amount as of the beginning of any unused overpayment/underpayment
period(s). If a subsequent underpayment/overpayment occurs that overlaps any
of the unused period(s), we must determine the available overpayment/underpayment
amount at the beginning of the subsequent/new overlapping period(s). This
information will reflect how much of an underpayment or overpayment that can
be netted during this time frame. Refer to Exhibit 20.2.14-5 for examples
illustrating the special computations required in this situation. -
Refer to Exhibit 20.2.14-6 for net rate computations involving more
than one overpayment period. The exhibit provides the interest computation
using the ACT InterestNet computation tool and explains how to determine whether
the net rate computation was accurately computed. When using ACT, special
information is provided that must be considered when verifying the accuracy
of a net rate adjustment. -
Refer to Exhibit 20.2.14-8 for non-corporate computations before and
after the 1/1/1999 rate equalization provided by section 3302 of RRA 1998.
The exhibit also explains how to verify unused amounts and the accuracy of
a net rate computation. -
Refer to Exhibit 20.2.14-10 for applying the net rate to a settled underpayment
year when currently working on an overpayment year that creates an overlapping
period. This example also explains verifying the accuracy of the net rate
computation using the ACT InterestNet computation tool. -
Refer to Exhibit 20.2.14-11 for net rate computations when Form 2285
is used reflecting the tax liability adjustments. -
Refer to Exhibit 20.2.14-12 for net rate computations involving a subsequent
interest adjustment after the net rate was applied. The exhibit provides a
two-part example to illustrate that a taxpayer can only receive a one-time
benefit of a net rate interest period that is used to the extent of equivalent
amounts of overpayment and underpayment.
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This image is too large to be displayed in the current screen.
Example:
1. Tom and Mary Chases
1994 and 1995 individual income tax returns are examined and an overpayment
of $5,000.00 is determined on their 1994 return. They agreed to an underpayment
of $3,000.00 on their 1995 tax return. There are no restrictions on either
module. The appropriate closing documents are completed and input to Master
File in the same cycle. The overpayment interest is computed from the due
date of the 1994 return to the due date of the 1995 underpayment. Interest
is allowed on the remaining overpayment from the date the liability is paid
(1995 return due date) to the refund schedule date. Since the 1995 liability
is paid by an overpayment that has an earlier availability date, no underpayment
interest is charged. No overlapping period of underpayment and overpayment
interest exists because the offset process avoids creation of an overlapping
period.
Example:
2.
In 1998,
John and Ann Dunn agree to an underpayment of $4,300.00 on their 1995 individual
income tax return and file a Form 1040X claiming an overpayment of $13,325.00
on their 1996 return. The Form 1040X is reviewed and allowed; and processed
at the same time as their 1995 underpayment. There are no restrictions on
either module. The appropriate closing documents are completed and input to
Master File in the same cycle. The underpayment interest is charged from the
due date of the 1995 return to the availability date of the 1996 overpayment.
The amount of overpayment needed to pay the tax and interest liability is
offset, and the remaining overpayment has interest allowed to the refund schedule
date. Even though both underpayment and overpayment interest were computed,
no overlapping interest period exists because the offset process avoids creation
of an overlapping period.
Example:
3.
When a previously assessed, but unpaid, underpayment exists,
any subsequently determined overpayment from another module is offset to the
underpayment, preventing creation of an overlapping period. If computer restrictions
prohibit a systemic offset, a manual offset must be made. Greene Corporation
previously agreed to, but did not pay, an underpayment of $43,000.00 determined
on its 199508 corporate return. It is assessed and underpayment interest is
computed to the waiver date plus 30-Days. There are no restrictions on the
module and when the subsequent notices are issued, Master File updates the
underpayment interest accordingly. Greene Corporation files an amended return
claiming an overpayment of taxes in the amount of $24,000.00 on its 199608
return. The Form 1120X is accepted and processed. When the overpayment is
posted, it will offset to the 199508 module. Since an overpayment is being
used to reduce an earlier liability, no interest is allowed on the overpayment,
and the underpayment interest assessed on the 199508 module, is reduced. No
overlapping period of underpayment and overpayment interest exists.
Example:
4.
To the extent that an overpayment
is offset against an underpayment, an overlapping period does not occur “between”
the modules involved with the offset. However, either
the overpayment or underpayment involved in the offset can have an overlapping
interest period caused by another module in which an overpayment was refunded
or offset with interest or an underpayment was determined or previously paid
with interest. On September 10, 1998, an overpayment of $527,000.00 is determined
for Morgan Corporations 1995 Form 1120. A tax increase of $200,000.00 on
Morgan Corporations 1993 Form 1120 is also determined. The 1995 overpayment
is offset to pay the $200,000.00 tax increase. An overlapping interest period
does not occur (between 1993 and 1995) because, as a result of the offset,
interest on the overpayment and underpayment does not accrue during the same
time period. The remainder of the 1995 overpayment is refunded with interest.
Before Morgan Corporations offset is made, the taxpayer advises the examining
officer that they previously paid a $53,000.00 tax underpayment on its 1994
Form 1120 on November 25, 1997. Morgan Corporation requests that the net rate
be applied to the 1994 underpayment based on the overlapping interest period
caused by the 1995 overpayment that refunded after offsetting the $200,000.00
to 1993.
This image is too large to be displayed in the current screen.
The time line determines that an overlapping interest period exists
from March 15, 1996 (the availability date of the 1995 overpayment) to November
25, 1997 (the date the 1994 underpayment was paid). The previously paid debit
interest that was due during the overlapping period will be abated after applying
the net rate to the underpayment period. The amount abated represents the
interest differential paid by the taxpayer.
Reviewing Requests Involving More than One
Taxpayer Identification Number (TIN)
Note:
The following
procedures should be followed by Campus Complex Interest Specialists or Exam
Centralized Case Processing interest employees. Revenue Agent(s) and/or Appeals
Officer(s) should follow the guidelines provided in IRM 4.10.26.
-
The examiner must review the net rate request to determine whether the
request includes more than one taxpayer identification number, a net rate
adjustment cannot be made between different taxpayers. If the request involves
more than one TIN, a determination must be made whether section 6621(d) applies.
Counsel or Revenue Agent advice must be requested if this determination cannot
be made. -
The examiner must ascertain the facts surrounding
the relationships between TIN holders and analyze the facts in terms of applicable
law. See Service Center Advice: IRS FSA 200212028; 2002 FSA Lexis
4; 2002 WL 442928. -
If it is determined that the multiple TINs are not the “same taxpayer”
the Service will disallow the claim. A formal
disallowance letter that indicates the reason for the denial of the netting
between TINs must be sent to the taxpayer if the request is a claim for refund. -
(4) If multiple TINs are involved they must be jointly liable for the
tax. The following examples may assist in making determinations in the taxpayer
relationship:Example:
1.
Corporation
A files a net rate request with multiple TINs. Corporation A has only underpayment
periods. Subsidiaries B, C, and D have only overpayment periods. Corporation
B, C, and D are determined notto be the same taxpayer
as Corporation A. These overpayment periods may not be
netted against the underpayment periods of Corporation A.Example:
2.
Corporation A files a net rate request with multiple
TINs. Corporation A has overpayments for periods 1, 2, and 3, and an underpayment
for period 4. Subsidiary B has underpayments for periods 1, 2, 3, and 4. Subsidiary
B joined the consolidated group at the beginning of period 2. Subsidiary B
cannot net its underpayment with the overpayment of Parent A for period 1,
but the overpayments and underpayments of periods 2 and 3 can be netted.Example:
3.
Parent Corporation A files
a net rate request for overlapping periods of underpayment and overpayment
interest involving Corporation A and its subsidiaries B and C. These three
entities have separate TINs. The IRS determines that Corporation A is not the same taxpayer as Corporations B and C for purposes
of interest netting because Corporation A’s underpayment was incurred
before Corporations B and C became members of a consolidated group with Corporation
A as the parent. Therefore, Corporations B and C are not jointly liable with
Corporation A for the income tax underpayment. However, the IRS determines
that Corporation B can file a net rate request for its own underpayment of
employment taxes and its own overpayment of excise taxes. Similarly, the IRS
determines that Corporation C can file its own net rate request. The IRS will
advise Parent Corporation A (the entity that filed the net rate request) that
its request will not be approved, but that Corporations B and C must file
their own requests for their own overlapping periods. -
If the examiner determines that any portion of the request will be denied
because the multiple TINs are not the same taxpayer, and the taxpayer has
not fully paid the liability, the taxpayer does not have the right to elevate
the issue to Appeals. -
If the taxpayers (multi TINs) can not be determined to be the same taxpayer
the request must be forwarded to Counsel or a Revenue Agent, which ever is
applicable to make the appropriate determination.
When a net rate adjustment has previously been made and only part of
the overpayment period was used, you must be aware of the available overpayment
amount as of the beginning of any unused overpayment period(s). If a subsequent
underpayment occurs that overlaps any of the unused overpayment periods(s),
we must determine the available overpayment amount at the beginning of the
subsequent/new overlapping period(s).
Example:
On May 4,
1998, David and Lynne Wilkes previously agreed to and paid an underpayment
of tax for $7,300.00 and interest of $2,294.50 on their 1994 Form 1040. On
August 25, 1998, they filed a Form 1040X on their 1996 Form 1040. A refund
was issued on November 30, 1998, for $4,500.00 plus overpayment interest of
$578.81 (computed to the refund date, less the 13-day back-off period). On
January 6, 1999, the taxpayers filed a Form 843 and requested a net rate adjustment
based on the overlapping period on the 1996 overpayment and the 1994 underpayment
interest. The Service complied and issued the taxpayer a refund of overpaid
underpayment interest on March 15, 1999. A TC 341 was input for the amount
of interest to be refunded to the taxpayer. Credit interest was allowed on
this amount from the availability date of the released credit(s) to March
2, 1999, (the refund date, less the 13-day back-off period). Subsequently,
on April 2, 1999, the taxpayer signed an agreement for an underpayment of
$6,000.00 on their 1995 return. They have requested that the net rate be applied
based on the 1996 unused overpayment period (05041998 to 11171998) and the
1994 overpayment period that resulted from the previous net rate adjustment
TC 341 (05041998 to 03021999).
Note:
Since the interest rates were
equalized for non-corporate returns on 01011999 (IRC section 3302) the taxpayer
would be allowed a net rate adjustment from 05041998 to 12311998. The ACT
program will continue to compute interest from 01011999 to 03021999 at the
normal debit interest rate. A miscellaneous transaction code 1111 has been
entered to clarify the Report 490 by separating the interest computed before
and after the rates equalized (the 1111 is for illustration purposes only,
and does not need to be used when working actual cases).
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In reviewing the time line, the entire overpayment interest computation
period that caused the original net rate adjustment, runs from 04151997 to
11171998. However, the full overpayment amount and only part of the overpayment
period was used to make the original net rate adjustment; from 04151997 to
05041998. The unused part of the overpayment period runs from 05041998 to
11171998.
Because we have only used a part of an overpayment period, the date
that the original net rate computation ends (05041998), becomes the beginning
date of the overpayment period for any future net rate adjustment (if a subsequent
underpayment “overlaps”
this unused period). In this situation,
the overpayment plus accrued interest as of the end
of the previously netted period, becomes the overpayment amount available
as of 05041998, the beginning of the subsequent/new overpayment period.
In this example, the overlapping period for the current adjustment runs
from 05041998 to 11171998. (We are now “using”
this former “unused”
overpayment period to apply the net rate to the current
adjustment). When computing underpayment interest on the current adjustment,
compute debit interest from the 04151996 start date to the beginning of the
current overlapping period (05041998). At the beginning of the overlapping
period, the amount of underpayment equal to the overpayment on 05041998 will
accrue debit interest at the credit rate to the end of the ”
overlapping”
period (11171998). To determine the amount of underpayment
subject to the net rate, you must know what the available overpayment amount
is as of 05041998 (the beginning of the overlapping period). You can determine
this by looking at the work papers for the previous net rate computation,
or run a computation on the overpayment amount from the beginning of the overpayment
period (04151997) to the beginning of the new/subsequent overlapping period
(05041998).
In the previous underpayment interest computation (1994), debit interest
at the credit rate was computed from 04151997 to 05041998 on the amount of
underpayment equal to the overpayment on 04151997 ($4,500.00);
resulting in netted interest of $390.53. The overpayment principal amount
($4,500.00) added to the accrued interest ($390.53) to 05041998 (the end of
the overlapping period) now becomes the overpayment available ($4,890.53)
as of 05041998 (the beginning of the new overlapping period). The accrued
interest during the unused part of the overpayment period from 05041998 to
11171998 is $188.28. The netted and accrued interest amounts ($390.53 + $188.28)
total $578.81, which is the amount of interest that was originally allowed
on the $4,500.00 overpayment.
Therefore, debit interest computed at the credit rate on the current
adjustment would run from 05041998 to 11171998 (the end of the current overlapping
period) on $4,890.53 (the amount of underpayment equal to the overpayment
on 05041998), for a netted interest amount of $188.28. The entire 1996 overpayment
period has now been completely used.
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The following example illustrates a situation where more than one overpayment
period is involved.
The examination of Siena Corporation’s
1989 Form 1120 return results in a tax assessment of $5,000,000.00 (plus interest),
to which the corporation agrees and fully pays on July 12, 1997. A 30-Day
letter is issued on August 21.1994 (applicable date September 20, 1994). The
Siena Corporation files a 1995 carryback claim for $2,500,000.00 to be applied
to its 1992 tax year which is allowed and refunded with interest on December
30, 1997. In addition, an examination of its 1990 Form 1120 return results
in a $1,000,000.00 refund which is issued with interest on May 21, 1998. Siena
Corporation now files a Form 843 to request that the interest computed on
the underpayment be recomputed using the net rate. The statute of limitations
for all of the years involved is open, so the interest previously assessed
and paid must be recomputed. The refund is scheduled to be issued on February
14, 2000.
Interest Computations Prior to Application of the Net Rate
| 198912 | 1120 | $5,000,000.00 | Large Corp. Underpayment (LCU) rate applicable date is 09201994 |
| $5,082,506.95 | Interest 03151990 to 07121997 (full paid date) | ||
| 199012 | 1120 | ($1,000,000.00) | Overpayment refund with interest 05211998 |
| ($638,502.67) | Interest 03151991 to 04061998 (manual refund IRS initiated) | ||
| 199212 | 1120 | ($2,500,000.00) | Overpayment refunded with interest 12301997 |
| ($302,202.34) | Interest 03151996 to 12301997 (manual refund/TP initiated) |
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Application of the Net Rate to the Previously
Paid UnderpaymentNote:
The Net Rate Interest is computed at normal
rates until the effective or applicable date for GATT or Large Corporate (LCU)
interest has been reached.
Underpayment Interest Computation
| $5,000,000.00 | 03151990 to 03151991 (normal corp. rate) = 581,297.86 (computed at the normal rate since applicable date not yet reached) |
| 581,297.86 | Add accrued interest |
| 5,581,297.86 | Balance due 03151991 |
| (1,000,000.00) | Subtract underpayment amount equal to the overpayment amount on 03151991 |
| 4,581,297.86 | 03151991 to 09201994 (normal corp. rate) and 09201994 to 03151996 (LCU rate) = 2,591,150.43 |
| 2,591,150.43 | Add accrued interest |
| 7,172,448.29 | Balance due 03151996 |
| (2,500,000.00) | Subtract underpayment amount equal to the overpayment amount on 03151996 |
| 4,672,448.29 | 03151996 to 07121997 (LCU rate) = 718,919.22 |
| 718,919.22 | Add accrued interest |
| 5,391,367.51 | Balance due 07121997 |
Net Rate Interest Computation
| $1,000.000.00 | 03151991 to 07121997 (normal and GATT rate) = 558,071.88 |
| 558.071.88 | Add accrued interest |
| 1,558,071.88 | Balance due 07121997 |
| 2,500,000.00 | 03151996 to 07121997 (normal and GATT rate) = 218,084.89 |
| 218,084.89 | Add accrued interest |
| $2,718,084.89 | Balance due 07121997 |
| $581,297.86 2,591,150.43 718,919.22 558,071.88 218,084.89 $4,667,524.28 |
Total Revised Interest |
| $5,082,506.95 | Posted Interest |
$4,667,524.28 |
Revised Interest |
| (414,982.67) | Netting Benefit/Interest to be abated (TC 341) |
43,251.39 |
Add: Accrued interest at the prevailing rate to 02052000 |
| $458,234.06 | Total Refund (23C date minus 9-day back off period |
Note:
Ensure credit interest is computed on the amount of abatement
that will refund/offset.
Input the following transaction
information using the appropriate adjustment document and include as part
of the workpapers.
1989 |
1990 and 1992 |
|---|---|
| TC 341 – ($414,982.67) | TC 340 – (.00) to indicate that the net rate has been applied |
| Db-Int-To-Dt – 07121997 | Db-Int-ToDt – Applicable date |
| Correspondence Dt – 07221998 | Correspondence Dt – 07221998 |
| Activity Code – netrate | Activity Code – netrate |
| Amd-Clms-Dt – Claim Received Date | Amd-Clms-Dt – Claim Received Date |
Input the following N information as part of the workpapers. (The ACT
530 Report should be used for this purpose.)
| 198912: N-AMT – 1,000,000.00 N-BEG = 03151991 N-PER = 199012 |
N-END = 07121997 N-MFT = 02 |
| 198912: N-AMT – 2,500,000.00 N-BEG = 03151996 N-PER = 199212 |
N-END = 07121997 N-MFT = 02 |
| 199012: N-AMT – 1,000,000.00 N-BEG = 03151991 N-PER = 198912 |
N-END = 07121997 N-MFT = 02 |
| 199212: N-AMT – 1,000,000.00 N-BEG = 03151996 N-PER = 199012 |
N-END = 07121997 N-MFT = 02 |
Refer to the time line in Exhibit 20.2.14–6.
Always include the “unused”
and ”
unnetted”
periods in your workpapers, the ACT 530 Report should be used
for this purpose.
For 199012, there is an unused credit interest period from 07121997
to 04061998. The amount of overpayment on 07121997 is 1,558,071.88 (overpayment
plus interest accrued through 07121997).
For 199212, there is an unused credit interest period from 07121997
to 12301997. The amount of overpayment on 07121997 is 2,718,084.89 (overpayment
plus interest accrued through 07121997).
Reminder:
When using
a time line, the following verification process should be used to determine
whether the net rate adjustment was correctly computed:
• Add the net rate interest amount that was used to the interest amount
that accrues during the unused credit period. If the total
does not equal the overpayment interest amount originally allowed,
an error has been made in the interest computation.
Unnetted debit interest periods exist from 03151990 to 03151991, 03151991
to 03151996, and from 03151996 to 07121997.
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Amount of unused overpayment at the beginning of the unused credit period
07121997 to 04061998 is $1,558,071.88.
Amount of unused overpayment at the beginning of the unused credit period
07121997 to 12301997 is $2,718,084.89.
Unnetted underpayment period still exists from 03151990 to 03151991,
from 03151991 to 03151996, and from 03151996 to 07121997.
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Verification of the Net Rate Computation
To
verify accrued interest during the unused overpayment period, it is necessary
to determine what the non-GATT and GATT overpayment balances are as of the
end of the overlapping period in the net rate computation. This information
is then used to compute interest during the unused overpayment period. When
you add the net rate interest amount with the interest accrued during the
unused overpayment period, the total interest amount determined
must equal the interest originally allowed on the overpayment. If these
amounts do not equal, an error has been made in either
the net rate computation or when verifying the accrued interest.
Note:
This
procedure may be used to verify the accuracy of a net rate computation made
on ACT; however, it is not required because the verification process is automated
within that program.
The following example illustrates the situation where the overlapping
period is completely used in the net rate computation.
Orleans Corporation receives a refund of $135,295.81 on September 30,
1997 due to a tax decrease of $100,000.00 based on a Form 1120X for its 1992
tax year that was filed on June 30, 1997. Interest in the amount of $35,295.81
is paid for the period from March 15, 1993 (return due date) to September
30, 1997. Due to an examination of the 1991 Form 1120, the amount of $350,000.00
is assessed and a notice is issued. The taxpayer pays the balance of $602,324.75
on February 15, 1998. The balance includes interest of $252,324.75, from March
15, 1992 (return due date) to February 15, 1998. The large corporate interest
rate (LCU) is charged on the underpayment based on a 30-Day letter dated June
2, 1995 (applicable date of July 02, 1995).
On July 30, 1998, the Orleans Corporation files a claim to request that
the net rate be applied to its 1991 Form 1120, based on the 1992 overpayment
that was refunded on September 30, 1997. The statute of limitations applicable
to both the underpayment and overpayment are open on July 22, 1998. Interest
on the underpayment must be recomputed to allow the net rate adjustment.
Interest Computations Prior to Application of the Net Rate
| 199112 | 1120 | $350,000.00 | LCU rate applicable date is 07021995 |
| 252,324.75 | Interest from 03151992 to 02151998 (full paid date) | ||
| 199212 | 1120 | ($100,000.00) | Overpayment refunded with interest on 09301997 |
| (35,295.81) | Interest from 03151993 to 09301997 (manual refund/taxpayer initiated) |
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Application of the Net Rate to the Previously
Paid UnderpaymentNote:
The Net Rate Interest is computed at normal
rates until the effective or applicable date for GATT or LCU interest has
been reached.
Underpayment Interest Computation |
|
|---|---|
| $ 350,000.00 | 03151992 to 03151993 (normal Corp. rate) = 27,528.89 |
| 27,528.89 | Add accrued interest |
| 377,528.89 | Balance due 03151993 |
| (100,000.00) | Subtract the underpayment amount equal to the overpayment amount on 03151993 |
| 277,528.89 | 03151993 to 07021995 (normal corp. rate) 07021995 02151998 (LCU rate ) = 165,251.82 |
| 165,251.82 | Add accrued interest |
| 442,780.71 | Balance due 02151998 |
| Net Rate Interest Computation |
|
| $100,000.00 | 03151993 to 09301997 (normal and GATT rate) = 35,295.81 |
| 35,295.81 | Add accrued interest |
| 135,295.81 | 09301997 to 02151998 (LCU rate) = 5,744.61 |
| 5,744.61 | Add accrued interest |
| $141,040.42 | Balance due 02151998 |
| $ 27,528.89 165,251.82 35,295.81 5,744.61 $ 233,821.13 |
Total Revised Interest |
| $ 252,324.75 | Posted Interest |
| $ 252,324.75 | Revised Interest |
| (18,503.62) | Netting Benefit/Interest to be abated (TC 341) |
Note:
Compute credit interest accordingly on the amount of abatement
that will refund/offset.
Input the following transaction information using the appropriate adjustment
document and include as part of the workpapers:
1990 |
1991 |
|---|---|
| TC 341 – ($18,503.62) | TC 340 – ($.00) to indicate that the net rate has been applied |
| Db-Int-To-Dt – 02151998 | Db-Int-To-Dt – Applicable date |
| Correspondence Dt – 07221998 | Correspondence Dt – 07221998 |
| Activity Code – netrate | Activity Code – netrate |
| Amd-Clms-Dt – Claim Received Date | Amd-Clms-Dt – Claim Received Date |
| Include the following N information as part of the workpapers. (It is recommended that ACT 530 Report be used for this purpose) |
|
| 199112: | |
| N-AMT = 100,000.00 N-BEG = 03151993 N-PER = 199212 |
N-END = 09301997 N-MFT = 02 |
| 199212: | |
| N-AMT = 100,000.00 N-BEG = 03151993 N-PER = 199112 |
N-END = 09301997 N-MFT = 02 |
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No unused overpayment period or unused amount remains.
An unnetted debit period exists from 03151992 to 03151993 on $350,000.00,
from 03151993 to 09301997 on $277,528.89, and from 09301997 to 02151998 on
$135,295.81.
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This example illustrates that, given the equalized rates effective January
1, 1999, a net rate adjustment may be allowed on “non-corporate
”
returns for interest periods prior to January 1, 1999.
A $2,000.00 tax overpayment was refunded with interest on February 5,
1999 on Ed and Pauline Ascot’s 1996 Form 1040 return. On May 10, 1999,
a $5,000.00 tax underpayment was paid on their 1997 Form 1040 return. The
time line illustrated below reflects the overlapping period during which the
net rate can be allowed.
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An overlapping period exists from 04151998 to 01231999. However, the
taxpayer is only entitled to a net rate adjustment from 04151998 to 01011999.
This is because no interest rate differential exists after January 1, 1999.
This example illustrates a claim requesting
the net rate on a previously assessed and paid tax liability.
A 30-Day Letter was issued on March 10, 1993 to Athens Corporation which
agreed to the 1990 Form 1120 tax increase of $150,000.00. The tax, plus interest,
was paid on February 20, 1997. A claim was filed on January 22, 1998 and a
manual refund of $79,000.00 plus interest was allowed March 19, 1998 on the
1993 Form 1120. Interest on the refunded overpayment consisted of normal and
GATT rate allowed on the overpayment. On August 1, 1998, Athens Corporation
filed a claim to request that the net rate be applied on the 1990 underpayment
as a result of the 1993 overpayment. The statute of limitations on the underpayment
and overpayment are both open as of July 22, 1998. Underpayment interest must
be recomputed to apply the net rate. On the new claim filed, a refund for
$13,134.10 ($11,710.22 plus $1,423.93) was issued on September 1, 1998. During
the overlapping period(s), interest on the underpayment is computed at the
normal and GATT rate because interest on the 1993 overpayment was allowed
at the normal and GATT rate. The recomputation of underpayment interest results
in a decrease to the interest assessed and refund of underpayment interest.
The overpayment period is not adjusted. The interest rate differential
is eliminated on the underpayment by recomputing debit interest at the credit
rate during the overlapping interest period(s).
Interest Computations Prior to Application of the Net Rate
| 199012 | 1120 | $150,000.00 | Large Corporate Underpayment (LCU) rate applicable date is 04091993. |
| 117,256.17 267,256.17 |
Interest from 03151991-02201997 payment date Payment |
||
| 199312 | 1120 | ($ 79,000.00) ( 24,778.19) |
Overpayment refund dated 03191998 Interest 03151994 to 03191998 (manual refund taxpayer initiated). |
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Application of the Net Rate to the Previously Paid Underpayment
Underpayment Interest Computation |
|
|---|---|
| $ 150,000.00 | 0304101993 to 03151994 (LCU) = 45,109.76 04101993 to 03151994 (LCU) = 45,109.76 |
| 45,109.76 | Add accrued interest |
| 195,109.76 | Balance due 03151994 |
| (79,000.00) | Subtract the underpayment amount equal to the overpayment amount on 03151994 |
| 116,109.76 | 03151994 to 02201997 (LCU rate) = 42,934.31 |
| 42,934.31 | Add accrued interest |
| 159,044.07 | Balance due 02201997 |
| Net Rate Interest Computation |
|
| $ 79,000.00 | 03151994 to 02201997 (normal and GATT rate) = 17,501.93 |
| 17,501.93 | Add accrued interest |
| 96,501.93 | Balance due 02201997 |
| Underpayment Interest Computation continued |
|
| $ 45,109.76 42,934.31 17,501.93 $ 105,546.00 |
Total Revised Interest |
| $ 117,256.17 | Posted Interest |
| 105,546.00 | Revised Interest |
| (11,710.17) | Netting Benefit/Interest to be abated (TC 341) |
Input the following transaction information using the appropriate adjustment
document and include as part of the workpapers.
199012 |
199312 |
|---|---|
| TC 341 – (11,710.17) | TC 340 – To indicate that the net rate has been applied. |
| Db-Int-To-Dt – 02201997 | Db-Int-To-Dt -= Applicable date |
| Correspondence Dt – 07221998 | Correspondence Dt – 07221998 |
| Activity Code – netrate | Activity Code – netrate |
| Amd-Clms-Dt – Claim received date | Amd-Clms-Dt – Claim received date |
Include the following N information as part of the workpapers.
(The ACT 530 Report should be used for this purpose.)
199012:
N-AMT – 79,000.00
N-BEG
= 03151994
N-PER = 199312N-END = 02201997
N-MFT = 02199312:
N-AMT – 79,000.00
N-BEG
= 03151994
N-PER = 199012N-END = 02201997
N-MFT = 02
The $11,710.17 creates a new overpayment period for another net rate
adjustment. For 199312 there is an unused credit interest period that exists
from 02201997 to 03191998 for the $79,000.00, plus accrued interest of $17,501.93
as of the end of the current overlapping period. For 199012 an unnetted debit
period exists from 03151991 to 03151994.
Important Note:
During the overlapping period, to correctly
compute interest at the GATT rate on a subsequent assessment with an interest
period that overlaps a previously unused period, we must determine the amount
of interest accruing at the “HIGH”
(non-GATT) rate as
of the end of the previous overlapping period. Interest at the ”
HIGH”
rate must continue to accrue on the original $10,000.00, plus
accruals, to the end of the current overlapping period. Therefore, to correctly
determine the amount of overpayment available at the beginning of the “new/subsequent”
overlapping period, the GATT threshold amount
is the $10,000.00, plus the accrued interest. *
*The
GATT threshold can be obtained from the overpayment interest computation that
is used to make the net rate adjustment. Use the “High Rate
”
/non-GATT amount that consists of the $10,000.00 threshold plus accrued
interest as of the date that is used as the beginning of the ”
new/subsequent”
overlapping period.Note:
If a credit interest freeze
(I-) exists on the module on which you are abating the previously paid interest,
manually compute the credit interest on the abatement amount to the appropriate
interest ending date
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Amount unused at the beginning of the unused credit period 02201997
to 03191998 is $96,501.93.
Unnetted debit period exists from 03151991
to 03151994. A net rate adjustment can be made if another overpayment period
overlaps this time frame.
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This example illustrates applying the net rate to a ”
settled”
underpayment module when currently processing an overpayment
on a separate tax year. This will result in an overlapping period available
for netting.
The Harmon Corporation had a prior examination on its 1993 Form 1120
return which resulted in a tax assessment of $200,000.00. A 30-Day letter
was issued on August 8, 1995 (applicable LCU date is September 7, 1995). The
taxpayer paid both the tax and interest on December 17, 1996. The current
examination of the 1995 Form 1120 has resulted in a tax decrease of $725,000.00.
A manual refund for the overpayment, plus credit interest is scheduled to
be refunded on October 25, 1998. (Because this is an IRS initiated adjustment
there is a 45-Day back-off period.)
In this situation, compute credit interest on the overpayment first,
then recompute interest on the underpayment period applying net rate.
Underpayment interest computed prior to the application of net rate: |
|||
|---|---|---|---|
| 199312 | 1120 Underpayment | $200,000.00 60,799.56 |
Tax increase Interest from 03151994 (LCU rate applicable date is 09071995) to 12171996 (full paid date) |
Overpayment interest currently being allowed: |
|||
| 199512 | 1120 Overpayment | $725,000.00 121,357.16 |
Tax decrease Interest from 03151996 to 09101998 (refund schedule date of 10251998 less the 45-day back-off period) |
Since the 1995 overpayment is greater than the 1993 underpayment
(plus accrued interest), the entire underpayment balance that is due during
the net rate period is “charged”
interest at the GATT
credit rate.
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Application of the Net Rate to the Previously Paid Underpayment
Note:
The Net Rate Interest is computed at normal rates until
the effective or applicable date for GATT or Large Corporate (LCU) interest
has been reached
| Underpayment Interest Computation |
|
| $200,000.00 | 03151994 to 09071995 (normal corp. rate) and 09081995 to 03151996 (LCU) rate = 40,567.05 |
| 40,567.06 | Add accrued interest |
| $240,567.06 | Balance due 03151996 |
| Net Rate Interest Computation |
|
| $240,567.06 | 03151996 to 12171996 (GATT rate) = 11,501.87 |
| 11,501.87 | Add accrued interest |
| $252,068.93 | Balance due 12171996 |
| Underpayment Interest Computation continued |
|
| $ 40,567.06 11,501.87 $ 52,068.93 |
Total Revised Interest |
| $ 60,799.56 | Posted Interest |
52,068.93 |
Revised Interest |
| (8,730.63) | Netting Benefit/Interest to be abated (TC 341) |
(1,338.75) |
Add: Accrued interest at the prevailing rate to 09101998 |
| $10,069.37 | Refund to 23C date minus 45-day back off period (Total is $.01 off due to DMI programming error) |
Note:
Compute credit interest accordingly on the amount of abatement
that will refund/offset.
Input the following transaction information using the appropriate adjustment
document and include as part of the workpapers:
1993 |
1995 (A two-step process is required) |
|---|---|
| TC 341 – ($8,730.63) Db-Int-To-Dt – 12171996 Correspondence date – 07221998 Activity Code – netrate Amd-Clms-Dt – Claim Received Date |
Step 1: (ADJ47) TC 301 – $725,000.00 (Hold Code 1 to issue notice and hold credit for manual refund) TC 340 – (.00) to indicate that the net rate has been applied Db-Int-To-Dt – Applicable date Step 2: (ADJ54) |
| Include the following N information as part of the workpapers. (The ACT 530 Report should be used for this purpose. ) |
|
| 199312: N-AMT – 240,567.06 N-BEG = 03151996 N-PER = 199512 |
N-END =12171996 N-MFT = 02 |
| 199512: N-AMT – 240,567.06 N-BEG = 03151996 N-PER = 1999312 |
N-END =12171996 N-MFT = 02 |
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Always include the “unused”
and ”
unnetted”
periods in your workpapers. (The ACT 530 Report should be
used for this purpose.):
Computation to Verify
Unused Amount(s) and Determine the Accuracy of Net Rate Computation
Refer to the time line Exhibit 20.2.14-10.
There is an unused overpayment period in 1995 from 03151996 to 12171996.
The overpayment amount on 03161996 is $484,432.95. The amount of credit available
at the beginning of the unused overpayment period from 12171996 to 09101998
is $759,663.33. There is an unnetted debit period from 03151994 to 03151996
on the $200,000.00 underpayment.
| 03151996 | The unused overpayment amount at the beginning of the overlapping period is $484,432.95 (original $725,000.00 overpayment minus $240,567.06; the amount the net rate was applied to). |
| 12181996 | The amount of the available overpayment at the beginning of the unused overpayment period from 12181996 to 09101998 is $759,663.33. This amount is obtained by taking the principal of $725,000.00 and adding the accrued overpayment interest from 03151996 to 12171996 of $34,663.33. |
| These are the amounts on which underpayment interest at the overpayment rate may be computed should a subsequent net rate adjustment be requested. |
Reminder:
When using a time line the following verification
process should be used to determine whether the net rate adjustment was correctly
computed:
Add the net rate interest amount that was used to the interest
amount that accrues during the unused credit period. If the total
does not equal the overpayment interest amount originally allowed,
an error has been made in the interest computation.
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Amount of unused overpayment at the beginning of the overlapping
period (03151996) is $484,432.94.
Amount of available
overpayment at the beginning of the unused overpayment period from 12181996
to 09101998 is $759,663.33.
An unnetted underpayment
period still exists from 03151994 to 03151996.
The
amount of underpayment that the net rate can still be applied to at the beginning
of the unnetted debit period from 03151994 to 03151996, is $200,000.00.
Jack and Brenda Freemont filed a Form 843 requesting the application
of net rate interest netting on their 1993 Form 1040. An overpayment from
the 1994 Form 1040 creates an overlapping interest period. The 1993 and 1994
adjustments were a combination of a general adjustment and a carryback adjustment.
The account transaction information for the 1993 and 1994 tax periods is shown
below.
| Interest Computations Prior to Application of the Net Rate |
||
|---|---|---|
| 199312: | General Adjustment Underpayment 199512 Partial Carryback Recapture |
$35,000.00 $27,000.00 |
| The taxpayer previously received a refund on 06071996 of $37,000.00 without interest, based on a carryback to 1993 from their 1995 loss year return. The taxpayer paid the balance due of $83,712.26 which includes interest of $21,712.26 on 08131998. |
||
| 199412: | General Adjustment Overpayment
1995 Carryback Recapture |
($58,000.00) Original return was timely filed and paid. $16, 000.00 |
The taxpayer previously received a refund on 06071996 of $16,000.00
without interest, based on a carryback applied to 1994 from their 1995 loss
year return.
On 10261997, an IRS initiated refund is issued for $52,455.91 which
included interest of $10,455.91 based on the general adjustment overpayment
and offset of the 1995 carryback recapture.
Account Transaction
Information
199312 Module Information
TC 150
806
309
846
300
308
190/340
67050,000.00
50,000.00-
37,000.00-
37,000.00
35,000.00
27,000.00
21,712.26
83,712.26199512 carryback allowed
Refunded 06071996
General
adjustment
199512 carryback recapturePayment received
199412 Module
Information
TC 150
430
309
846
301
308
776
84660,000.00
60,000.00-
16,000.00-
16,000.00
58,000.00
16,000.00
10,455.91
52,455.91199512 carryback allowed
Refunded 06071996
General
adjustment
199512 carryback recapture
23C 10261997 (58-day back-off
to 08291997)
23C 10261997
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Application of the Net Rate to the General and Carryback
Adjustment (1993)
Underpayment Interest Computation |
|
|---|---|
| $ 35,000.00 | 04151994 to 04151995 (debit rate) = 3,056.21 |
| 3,056.21 | Add accrued interest |
| 38,056.21 | Balance due 04151995 04151995 to 04151996 (credit rate) = 3,244.64 |
| 3,244.64 | Add accrued interest |
| 41,300.85 | Balance Due 04151996 |
| (10,000.00) | Subtract carryback amount not subject to recapture 04151996 (Use of money) |
| 31,300.85 | 04151996 to 06071996 (credit rate) = 318.87 |
| 318.87 | Add accrued interest |
| 10,000.00 | Add carryback previously used for the interest-free period on the refund date 06071996 |
| 27,000.00 | Add the carryback recapture underpayment |
| 68,619.72 | Balance Due 06071996 |
| (47,586.27) | Subtract the amount on 06071996 that is subject to the net rate (see Exhibit 20.2.14-11 (Cont 6) for the Time Line Breakdown) |
| 21,033.45 | 06081996 to 08131998 (debit rate) = 4,452.96 |
| 4,452.96 | Add accrued interest |
| $ 25,486.41 | Balance due 08131998 |
| Net Rate Interest Computation |
|
| $ 47,586.27 | 06071996 to 08291997 (credit rate) = 4,869.64 |
| 4,869.64 | Add accrued interest |
| 52,455.91 | 08291997 to 08131998 ( debit rate) = 4,502.39 |
| 4,502.39 | Add accrued interest |
| $ 56,958.30 | Balance due 08131998 |
| $ 3,056.21 3,244.64 318.87 4,452.96 4,869.64 4,502.39 $ 20,444.71 |
Total Revised Interest |
| $21,712.26 | Posted Interest |
20,444.71 |
Revised Interest |
| (1,267.55) | Netting Benefit/Interest to be abated (TC 341) |
Note:
Compute credit interest accordingly on the amount of abatement
that will refund/offset.
Input the following transaction information using the appropriate adjustment
document and include as part of the workpapers:
1993 |
1994 |
|---|---|
| TC 341 – ($1,267.55) | TC 340 – ($.00) to indicate that the net rate has been applied |
| Db-Int-To-Dt – 08131998 | Db-Int-To-Dt – Applicable date |
| Correspondence Dt – 07221998 | Correspondence Dt – 07221998 |
| Activity Code – netrate | Activity Code – netrate |
| Amd-Clms-Dt – Claim received date | Amd-Clms-Dt – Claim received date |
Include the following N information as part of the workpapers. (It is
recommended that ACT 530 Report be used for this purpose.)
| 199312: N-AMT = 38,056.21 N-BEG = 04151995 N-PER = 199412 |
N-END = 08291997 |
| 199412: N-AMT = 38,056.21 N-BEG = 04151995 N-PER = 199312 |
N-END = 08291997 |
Always include the “unused”
and ”
unnetted”
periods in your workpapers, (it is recommended that ACT 530
Report be used for this purpose).
The time line in Exhibit 20.2.14-11 reflects the unnetted periods and
amounts.
Reminder:
When using the time line the following
verification process should be used to determine whether the net rate adjustment
was correctly computed:
• Add the net rate interest
amount that was used to the interest amount that accrues during the unused
credit period. If the total does not equal the overpayment
interest amount originally allowed, an error has been made in the interest
computation.
| Unused Overpayment Period 1 Overpayment Available 04161995 |
04161995-04151996 19,943.79 (58,000.00 overpayment less the 38,056.21 net rate amount) |
| Unused Overpayment Period 2 Overpayment Available 04151996 |
04161996-06071996 31,644.18 (58,000.00 overpayment plus 4,945.04 interest accrued from 04151995 to 04151996 (62,945.04) less the 31,300.86 that the net rate was applied to as of 04151996) |
| Unnetted Debit Interest Periods: 1. 04161994 to 04151995 on $35,000.00 2. 06081996 to 08291997 on $21,033.45 3. 08301997 to 08131998 on $75,927.69 |
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Subsequent Interest Adjustment After Net Rate was Applied
This is a two-part example. The first part is a claim,
and the second part applies to a future adjustment. The taxpayer can only
receive a one-time net rate period that is used to the extent of the applicable
overpayment and underpayment. However, if an overpayment interest period (bearing
credit interest) is not fully used, the net rate may be allowed for a subsequent
underpayment if that underpayment period overlaps with the overpayment period
not previously used for the net rate.
Example:
On April 12, 1997, a refund of $78,000.00 (plus interest) was issued for Armstrong
Corporation’s Form 1120X (filed on January 23, 1997) for its 199508
return. On May 16, 1998, Armstrong Corporation agrees to and pays an underpayment
of $113,000.00 (plus interest), for its 199608 Form 1120. A 30-Day letter
dated March 10, 1997, was sent to the taxpayer. On August 19, 1998, Armstrong
filed a claim requesting the net rate on its 199608 Form 1120.
Interest Computations Prior to Application of the Rate:
| 1120 | 199508 | ($78,000.00) (7,340.33) |
Overpayment refunded with interest Interest 11151995–04031997 (back-off date) |
| 1120 | 199608 | $113,000.00 19,023.30 |
Underpayment 30-Day letter dated 03101997 Interest 11151996–05161998 (full paid date) |
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Subsequent Interest Adjustment after Net Rate was Applied
Refer to the overlapping period time line in Exhibit 20.2.14-12.
Reminder:
When the overpayment accrues interest
before interest begins on the underpayment AND the
start of the overlapping period, we must determine the overpayment amount
available at the beginning of the overlapping period (11151996).
Review
the time line computation breakdown in Exhibit 20.2.14-12 (Cont. 1) which
provides the net rate interest computation periods for this example.
TC
341 – 848.43 refunded on 10211998 (new overpayment period)
Deb-In-To-Dt
– 05161998
Claim Date – 08191998 (199608 Form 1120X)
TC
340 (.00) – overpayment module to prevent annual netting on future underpayment
computation
Unused Overpayment Period/Amount – 11151995 -11151996/$78,000.00
Unnetted
Period – 04031997 to 05161998
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The facts are the same as described in Exhibit 20.2.14-12.
Armstrong Corporation is currently undergoing an examination of its
199408 Form 1120, and on March 10, 1999, an agreement was signed for an $85,000.00
underpayment. Armstrong advises that a net rate period still exists based
on the overpayment issued on its 199508 Form 1120. An unused overpayment period
remains from 11151995 to 11151996 that can be used for the net rate adjustment
on the current underpayment.
Refer to the detailed time line in Exhibit 20.2.14-12 for the interest
computation and adjustment information.
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Example:
1 – Both Periods of Limitation
Open
The Service examined Hesston Corporation’s Form 1120
return for the 1992 and 1994 tax years. For the 1994 tax year, Hesston Corporation
was entitled to a refund of $30,000.00. The IRS initiated refund was made
on September 21, 1997, with interest computed from March 15, 1995, to July
29, 1997. For the 1992 tax year, a tax underpayment of $80,000.00 was determined.
The
Service sent a notice and demand for payment dated May 3, 1998, which Hesston
Corporation paid on May 12, 1998, with interest computed from March 15, 1993
to May 3, 1998. On April 27, 1999, Hesston Corporation filed a Form 843 claim
requesting the net rate during the overlapping interest period from March
15, 1995 to July 29, 1997.
On July 22, 1998, both the 6-year period of
limitations (09/21/2003) for claiming additional overpayment interest on Hesston
Corporation’s 1997 refund and the 2-year period of limitations (05/12/2000)
for claiming a refund of underpayment interest paid in 1998 were open. Hesston
Corporation’s claim is timely filed. In applying the net rate, the Service
will refund underpayment interest in an amount equal to the difference between
the underpayment interest paid on $30,000.00 for the period from March 15,
1995, to July 29, 1997, and the overpayment interest computed and paid on
$30,000.00 for that period.
Example:
2 – One Period of Limitation Open
On November 9, 1998, the Rice
Corporation filed a net rate interest claim. Rice Corporation requested that
the net rate be applied to the tax underpayment for its 1993 Form 1120 based
on an overlapping interest period resulting from an overpayment allowed with
interest for its December 31, 1994 Form 941 return. The tax underpayment plus
interest was paid on January 10, 1996. The overpayment on the Form 941 was
refunded on July 9, 1996. For the underpayment year, the 3-year period of
limitations expired on March 15, 1997, and the 2-year period expired January
10, 1998. The period of limitations for the overpayment expires on July 9,
2002. For net rate adjustments involving interest periods prior to October
1, 1998, both the underpayment and overpayment period of limitations must
be open on July 22, 1998. Since only the overpayment period of limitations
is open, a net rate adjustment cannot be allowed.
Example:
3 – Periods of Limitations Expires on or Before 12/31/1999
The
Service examined Sheeling Incorporated’s Form 1120 for the 1990 and
1992 tax years. For 1990, Sheeling Incorporated was entitled to a refund of
$40,000.00. The IRS initiated refund was made on November 21, 1993, with interest
computed from March 15, 1991, to September 28, 1993. For the 1992 tax year,
an underpayment of $60,000.00 was determined. Sheeling Incorporated was issued
a notice and demand for payment dated October 3, 1996, which was paid on October
12, 1996, with interest computed from March 15, 1993, to October 3, 1996.
On July 22, 1998, both the 6-year period of limitations for claiming additional
overpayment interest on the 1993 issued refund and the 2-year period of limitations
for claiming a refund of underpayment interest paid in 1996 were open. However,
both these periods of limitations will be closed before December 31, 1999.
Sheeling Incorporated must have filed a Form 843 on or before December 31,
1999, to request a net rate adjustment during the overlapping period from
March 15, 1993 to September 28, 1993. The net rate adjustment will be made
to the underpayment year and the taxpayer will receive a refund of the overpaid
debit interest amount.
Example:
4 -
Period of Limitations Open after 12/31/1999
Kingman Research Labs
Form 1120 for the 1990 and 1992 tax years were examined. For the 1990 tax
year, the taxpayer was entitled to a refund of $80,000.00. The IRS initiated
refund was made on November 21, 1994, with interest computed from March 15,
1991, to September 28, 1994. For the 1992 year, a tax underpayment of $97,240.00
was determined. A notice and demand for payment dated October 3, 1996 was
sent and the tax was paid on October 12, 1996. On December 31, 1999, the 6-year
period of limitations for claiming additional overpayment interest will be
open, but the 2-year period for claiming a refund of underpayment interest
paid in 1996 will not be open. After December 31, 1999, but on or before the
close of the 6-year period of limitations (11/21/2000) for claiming additional
overpayment interest, a Form 843 claim must have been filed to apply the net
rate during the overlapping interest period from March 15, 1993, to September
28, 1994.
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Note:
* See IRM 20.2.14.6.2
** Make sure claim is filed timely by
checking postmark/received date. If the taxpayer filed claim on/or before
12-31-99, the Service will refund underpayment interest based on the netting
adjustment (see Rev. Proc. 99-43 Net Rate Pre-enactment Example 3).
***
If the underpayment period of limitations has expired, the net rate is applied
against the overpayment year (see section 20.2.14.6.2).
Note:
Net Rate claims which do not contain enough information to process,
must be rejected (not disallowed).
(1) Revenue Procedure 99-43 states that Form 843 must be filed for pre-enactment
interest periods (interest accruing before October 1, 1998). Informal Claims
may be accepted and worked provided the tax years are under consideration
by any function of the Service, and they contain all relevant information.
(2)
At a minimum, the taxpayer must provide the following information:
a. Type(s) of tax and/or type(s) of return(s).
b. Tax periods involved.
c.
Underpayment amount(s) and approximate date of payment, if paid.
d. Overpayment
amount(s) and approximate date of refund or offset.
e. Approximate overlapping
period(s)
f. A statement that the full amounts of the underpayment and
overpayment for the periods identified have not previously been used in a
request to obtain the net rate of zero under section 6621(d).
g. Signature
Items a – f are Mandatory
Note:
The IRS cannot assume the taxpayer intent, so do not research for or include
possible overlapping periods that are not addressed by the claim.
(3)
Return an incomplete claim to the taxpayer/representative with Letter 916C
(or local letter, or for Exam procedures see IRM 4.10.26) including Paragraph
Q (open paragraph) along with a copy of Rev. Proc. 99-43 using the following
language:
“Your claim did not provide the following necessary
information”
, (include only the applicable information that was not
provided by the taxpayer from the list provided in (2) above).
(4)
If the claim is for additional overpayment interest, (net rate adjustment
to overpayment year) include in Paragraph Q (open paragraph) the following
statement: “
This claim does not extend the 6-year statute
of limitations for filing suit for the recovery of allowable interest provided
for in sections 2401 and 2501 of Title 29 of the United States Code”
.
Full or Partial Claim Disallowance
(1) Full Disallowance. The following information
reflects some of the reasons for fully disallowing a net rate claim.
a. The statute of limitations is not open for refunding underpayment interest
or allowing additional overpayment interest. Refer to IRM 20.2.14.6.2 for
information regarding the statute of limitations (IRC 6511).
b. The underpayment
and overpayment statute of limitations are both closed on July 22, 1998.
c.
There are no overlapping periods of differential underpayment and overpayment
interest periods for the specified tax years.
d. Underpayment interest
overlaps a period when no overpayment interest was allowed on an amount refunded
or offset.
e. Claim not timely filed.
f. Claim is for two or more taxpayer
identification numbers (TINs) that do not qualify as the “same taxpayer”
for purposes of claiming a net rate interest
adjustment under 6621(d) (see guidance in Field Service Advise FSA 200212028
dated January 16, 2002).
(2) Partial Disallowance. The following information
reflects some of the reasons for partially disallowing a net rate claim.
a. The major reason for partially disallowing a net rate claim is because
the application of the net rate interest netting differs from the taxpayer’s
requested claim/refund amount. (e.g. ” Open”
ACT module
status requested by the taxpayer was changed to “Use”
or “Closed”
).
b. There may also be other specific reasons for
the partial disallowance of the claim for which an explanation must be provided
to the taxpayer.
(3) Full Disallowance Processing.
a. Send a certified full disallowance letter including appeal rights (105C,
local letter, or for Area Offices, use the L-906).Note:
Add the following
paragraph if the request is for additional credit interest.
“This claim does not extend the 6-year statute of limitations for
filing suit for the recovery of allowable interest provided for in sections
2401 and 2501 of Title 28 of the United States Code.”
b. Input a
TC 290 “$.00″
, Blocking Series 98/99 (this is a claim
disallowance blocking series; 98 without return, 99 with return), Reason Code
74 (interest). Exhibit 20.2.14-16 (XX-XX-XXXX) Procedures for Processing Net
Rate Claims – Full or Partial Claim Disallowance IRM Reference 20.2.14
c.
Attach a copy of the letter (as described above) with the claim to your adjustment.
Make sure you put a (y) reflecting that the source document is attached. Close
case. Add history to DI (Desktop Integration) screen if available.
(4) Partial Disallowance Processing.
a.
Send a certified partial disallowance letter including
appeal rights (106C, local letter, or for Area Offices, use L-905).
Note:
Add the following paragraph if the request is for additional credit interest: “This claim does not extend the 6-year statute
of limitations for
filing suit for the recovery of allowable interest provided for in sections
2401 and 2501 of Title 28 of the United States Code.”
b.
Input a TC 34X/77X for the interest adjustment to be made, Blocking Series
00 (with return) 18 (without return), Reason Code 74 (interest). Refer to
IRM 20.2.14.6.10 (2) for more detailed information.
c. Attach a copy of
the letter (as described above), claim, interest computations (such as ACT
Report Numbers 490, 530, 020) and other pertinent information to the adjustment.
Refer to IRM 20.2.14.6.10 (5) for more detailed information. Add history to
DI (Desktop Integration) screen if available.
(5) Taxpayer Appeal Processing. The taxpayer responds
and wants to appeal our decision.
a. Open a control base.
b. Order
the administrative file of the fully or partially disallowed claim.
c.
When the administrative file is received, close the control base leaving a
history of where the case was sent (e.g., C01,AppealsDO86,C). Send the appropriate
transfer letter (86C or local letter).
d. Send the case to the appropriate
Appeals Office with a Form 3210, and recharge any documents to Appeals.
e.
Add history to DI (Desktop Integration) screen if available.
Identifying Overlapping Interest Periods
IRC section 6621(d) applies only when there are overlapping periods
of both underpayment and overpayment interest running simultaneously. To determine
if this situation exists, verify the underpayment/overpayment interest computations.
1.
Determine the overlapping periods by:
a. Reviewing ACT Report
Number 530 (see Exhibit 20.2.14-18).OR
b.
Preparing a time line (see Exhibit 20.2.14-18).
Note:
It is recommended
that the ACT Report Number 530 be used for this purpose; however, a time line
will also show the overlapping periods.
2. If no overlapping period
(s) exists, reject the claim (see Exhibit 20.2.14-15).
3. If an overlapping
period(s) exists, process the claim. See claim allowance processing procedures
below.
Claim Allowance Processing
When
processing a net rate claim for abatement or refund and:
1. Current tax
adjustment (TC 29X, 30X) activity exists; see IRM 20.2.14.6.10(3).
2.
No current tax adjustment (TC 29X, 30X) activity exists, see the instructions
below.
REQ54
a. Blocking Series (BLK) – Use BLK 00 with controlling DLN. Without
controlling DLN, use BLK 18. If the account has an open AIMS Base, use BLK
05 or 15.
b. TC 34X – Debit Interest Adjustment (TC 340 for “zero”
is required if no decrease/increase is applicable). See
note below.
c. Debit-Int-To-DT – Input date debit interest is computed
to (RDD is used if no interest exists on that year).
d. TC 770 –
Credit Adjustment (input is not required if interest adjustment amount is
zero). TC 772 can be input as long as the account will be in balance due after
posting. If the account will be overpaid after the TC 772 posts, consider
IRM 20.2.14.6.10(4).
e. Credit-Int-To-DT – Date credit interest
is computed to (input is not needed if zero or TC 772 is input).
f. Correspondence
DT – 07221998 (IRC 6621(d) enactment date).
g. AMD-CLMS-DT –
Received date of the claim.
h. Activity CD – netrate
i. Hold
CD – 3 (Do not allow a generated notice to be issued to the taxpayer.
Send the taxpayer the appropriate letter).
j. Input the ”
N”
amount information or attach the ACT Report
530 to the adjustment document (the 530 Report shows all “N
”
amount information).
k. Attach any relevant information pertaining
to the claim.Note:
When the net rate adjustment is made to the underpayment
year, it is necessary to input a TC 340 with a “zero”
amount
on all overpayment years involved with the net rate adjustment(s). This action
is required on all of the overlapping periods that are used in the current
net rate adjustment to identify them as no longer being available for subsequent
annual or net rate adjustments for those years. If a year requested in the
claim is unused because of no overlapping periods, input a TC 290 for “zero”
, with Blocking Series 18, to properly identify the account.
3. Ensure all of the following information is
part of the source documents sent with each tax year
involved with the net rate adjustment:
a. A copy of the written request
or claim Form 843.
b. ACT Reports 490 and 530 (these reports must be attached
to the adjustment document of the tax period they are for).
c. ACT Report
020.
d. Any pertinent correspondence and information from the taxpayer
or the representative.
e. A copy of the appropriate Power-of-Attorney
form.
f. Any personal notes or observations pertaining to the claim that
would be helpful to the next examiner who may have to update the interest
or process a subsequent adjustment on the account.
g. A copy of the current
allowance/partial allowance letter from the IRS (the taxpayer’s copy
of this letter must include copies of the ACT Reports 020, 490 and 530 for
all the tax periods involved).
h. Any refile documents you may have in
your possession.
Note:
These are in addition to any normal attachments required
in the work process, regardless of the area working the account.
Preparing a Time Line and Creating ACT Report
530 to Identify Overlapping Interest Periods
Case Scenario:
The Delphinium Corporation
timely filed a calendar year 2000 return with a balance due. In 2001, the
taxpayer paid the balance due and the interest that accrued from 3/15/2001
to 10/20/2001. An examination of the taxpayer’s 1999 return resulted
in an overpayment of $27,000.00. The refund has not been processed. The refund
date is 02/14/2002. The overlapping interest period runs from 3/15/2001 to
10/20/2001. The overlapping period involves an underpayment that was previously
paid. Therefore, when the 199912 overpayment is processed, netting will apply.
This case scenario will be used in preparing a time line and creating ACT
report number 530.
| MFT 02 | 199912 | MFT 02 | 200012 | ||
| 150 660 660 660 846 301 |
03152000 04151999 06151999 12151999 03302000 03152000 | 71,660.00 25,000.00- 25,000.00- 25,000.00- 3,340.00 27,000.00- |
150 660 196 670 196 |
03152001 09152000 04092001 10202001 10202001 | 75,000.00 50,000.00- 148.37 26,160.25- 1,011.88 |
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The overlapping period occurs between 03/15/2001 and 10/20/2001.
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During the overlapping period, debit interest on the underpayment for
the 2000 tax year is charged at the same rate interest was paid on the 1999
tax year.
| $25,000.00 | 03/15/2001 (Balance due at the start of the overlapping period.) |
| 132.77 | Debit Interest at the Credit Rate (03/15/2001 to 10/20/2001) |
| 668.88 | Debit Interest at the GATT rate (03/15/2001 to 10/20/2001) |
| 25,801.65 | Due as of 10/20/2001 |
| 26,160.25- | Underpayment as Originally Assessed |
| $(358.60) | Debit Interest to be abated (TC 341) |
≠ USED “N”
amounts are the amounts from both
the underpayment and overpayment years that have been used to ”
NET”
or equalize interest rates during an overlapping period.
1999 |
2000 |
||
| N-AMT | $25,000.00 | N-AMT | $25,000.00 |
| N-BEG | 03–15–01 | N-BEG | 03–15–01 |
| N-TXPD | 199912 | N-TXPD | 200012 |
| N-MFT | 02 | N-MFT | 02 |
| N-END | 10–20–01 | N-END | 10–20–01 |
< UNUSED “N”
amounts are what has not been used
and are still available to be netted with another overlapping period. Since
the credit balance on the 199912 year was not entirely used in netting with
the 2000 tax year, there is a remaining balance that may still be netted.
This unused credit is shown below.
| Unused overpayment @ GATT rate Unused overpayment @ Overpay rate Available Suspended Overpay Unused overpayment @ GATT rate Unused overpayment @ Overpay rate Unused overpayment @ Overpay rate |
$20,340.00 $6,660.00 $3,340.00 $20,385.90 $6,679.13 $3,903.55 | From 03/16/00 to 03/30/00 From 03/16/00 to 03/30/00 From 03/16/00 to 03/30/00 From 03/31/00 to 03/15/01 From 03/31/00 to 03/15/01 From 03/16/01 to 10/20/01 |
The following screens illustrate the input of the 199912 and 200012
account data (before netting) and the resulting 530 reports generated (after
netting) for each year.
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Claims for Credit or Refund of Underpayment
Interest
Section 6511(a) of the Internal Revenue Code (IRC) provides that a claim
for refund of an overpayment must be filed within 3-years from the time the
return was filed or 2-years from the time the tax (including interest) was
paid, whichever period expires later. If no return is filed by the taxpayer,
the claim must be filed within 2-years from the time the tax was paid.
See IRC 6511(c) for additional information on the applicable rules in
case of extension of time by agreement on additional assessments.
When a return is filed after the due date under an extension of time
for filing and a claim is filed within 3-years after the return is filed,
amounts to be refunded include not only payments made within the 3-years preceding
the date of the claim, but those made within that 3-years
plus the extension for filing the return.
Apply Section 6621(d) to Such Periods
A Senate amendment to section 3301(c)(2) added that Section 6621(d)
applies in the case of interest for periods beginning before July 22, 1998,
provided the statute of limitations have not expired on either the applicable
underpayment or overpayment. The Senate amendment language was not included
in section 3301(c) (2) as enacted. However, the Conference Committee indicates
that the intention of Congress is to follow the Senate amendment.
For interest periods beginning before July 22,
1998, based on the Technical Correction, the statute of limitations must be
open for both the underpayment and overpayment tax periods
involved with the net rate request. If the statute of limitations is closed
for either the underpayment or overpayment, a net rate
interest adjustment is not allowed.
Determine if Statute is Open on July 22, 1998
1. The credit that would refund, as a result of your TC 341 must be
dated less than two years prior to July 22, 1998.
a. If it is a payment (TC 640 not a cash bond, TC 670, TC 680, etc), the date
of the payment must be July 22, 1996 or later.
b.
If it is an offset credit (TC 706, TC 700, TC 736, etc.) the 2-year rule is
based on the cycle. Cycle 9630 or later.
2. A TC 30X created the underpayment on the account.
a.
If the TC 300 audit adjustment was posted within 6-months of the enactment
date (July 22, 1998), the statute is open to input a TC 341. The agreement
to extend the time to assess the tax (ASED) must have been
January 23, 1998 or later.
3. The overpayment year TC 77X must be dated less than 6-years prior
to July 22, 1998.
a. If the TC 77X were
dated July 22, 1992 or later the statute would be open.